Title: Market Evolution Program Update
1Market Evolution Program Update
- Drew Phillips/Edward Arlitt
- Leonard Kula/Jason Chee-Aloy
2Environmental Information Tracking
- Awaiting passage of regulation
3Multi-Interval Optimization
- Progress
- Finalizing detailed design
- Software development is underway
- Work is underway internally on Market Rule
amendments to support MIO modifications - Technical Panel submission expected in November
4Multi-Interval Optimization
- Stakeholdering
- 11 Working Group Sessions to date
- Next Working Group Sessions
- October 8 with ITSC representatives
- October 28
- MOSC - October 22
- Technical Panel presentation - October 14
5Multi-Interval Optimization
6Wholesale/Retail Integration
7Wholesale/Retail Integration
- Wholesale/Retail Integration is being shaped by
the activities of other MEP initiatives and the
OEB initiative regarding the delivery of Demand
Side Management and Demand Response activities - IMO monitoring developments in these forums
8Wholesale/Retail Integration
- IMO wants to ensure that the strategy components
in each of these issues align with the
evolutionary plan being developed in the other
MEP stakeholder working groups. For example - The future of the buy side of the market and
Load Serving Entities - The Day Ahead Market (financial exposure,
participation, etc.)
9Day Ahead Market
10DAM Overview
- Working Group
- Benefits
- Design
- Pricing Methodology
- Next Steps
11Day Ahead Market Working Group
- Over 30 members (with diverse membership)
- Meets every 10-14 days (24 meetings held since
March) - Substantial consensus to develop a comprehensive
DAM consistent with that implemented or planned
for neighbouring markets - security constrained unit commitment model
- LECG (consulting firm) provides expert advice
- At the June 11 MAC meeting, unanimous consensus
was reached - Acknowledgement that DAMWG stakeholdering process
is effective - Agreed with recommendation to continue to develop
the DAM design until the end of the year, with a
view to specifying design details, resolving
issues raised by stakeholders, defining benefits
and resolving funding issues
12Day Ahead Market - Benefits
- Improved reliability
- Allows for direct participation of all loads in
market - Additional opportunity for demand-side response
- Improved commitment process
- Allows IMO to commit sufficient resources to meet
forecast demand - Drivers to ensure committed resources show-up in
real-time - Utilizes 3-part offer construct
- Imports and exports priced and scheduled
day-ahead - Moves intertie transactions from real-time to DAM
and reduces intertie trading uncertainty - Should reduce number of failed intertie
transactions - Should reduce Intertie Offer Guarantee (IOG)
uplift payments
13Day Ahead Market - Benefits
- Improved point of convergence for forward
products - DAM provides a transparent and predictable price
that converges on the real-time market price - Lower volatility - DAM price volatility lower
than real-time market price - Greater liquidity - DAM explicitly allows
non-dispatchable load bids and virtual
participation - Price convergence - virtual participants in DAM
encourage price arbitrage between DAM and
real-time market - DAM price better than real-time market price as
an index - facilitates forward price curve
development ? contracting
14Day Ahead Market Proposed Design
- Key features
- A financial market administered by the IMO, which
accepts supply offers and demand bids and clears
the market at day-ahead prices. - Creates a 2-settlement system, with the real-time
market (RTM) a balancing market. - Integrates a 3-part bid process to optimize unit
commitment for - Supplies available to the DAM to meet loads
buying in the DAM - Supplies available to the RTM to meet RTM
forecast load - A multi-pass process for committing units,
arranging DAM schedules, and defining DAM prices,
plus indicative schedules for the RTM. - The use of uplifts to cover commitment costs not
recovered from market revenues. - The simultaneous optimization of energy and
operating reserves, and the optimization of the
market over the 24 hour period.
15Day Ahead Market - Pricing Methodology
- Work began on the DAM with the intention of
designing a DAM consistent with the current
pricing mechanism of the Real-Time Market (RTM) -
uniform pricing - reflected in the DAM objectives and guiding
principles - a number of DAMWG sessions discussed how a DAM
based upon a uniform pricing methodology would be
settled - Conclusions of DAMWG (August 2003)
- A day-ahead market under a uniform pricing regime
would be costly to implement and maintain,
complex and confusing, and is not recommended - To be effective, a nodal pricing model must be
used
16Why not use uniform pricing in the DAM?
- Issues with uniform pricing in real-time market
amplified in DAM - Complex system of congestion management payments
(CMSC) in real-time market ? multiplied with DAM - very difficult (impossible?) to settle
- obscures DAM price
- Uniform price sends incorrect locational signals
for supply and demand-side investments ?
reinforced in DAM - Strategic bidding issues will substantially
increase - constrained-off generators have incentive to
decrease offer to maximize CMSC for not running - constrained-on generators have incentive to
increase offer to capture the value of their
energy (paid as bid) - more prevalent with DAM because of settlement
complexity - Still not convinced that we can generate a set of
schedules in the DAM under uniform pricing that
are consistent with real-time schedules
17A Nodal Pricing Model for DAM
- Most of the problems associated with the use of
uniform pricing in the DAM and real-time market
disappear with nodal pricing - Nodal pricing eliminates the need for CMSC side
payments. - All the strategic bidding incentives created by
CMSC disappear. - And the DAM would function better
- Simpler to administer settlements
- More transparent and intuitive prices
- Consistent results with the RTM, making the DAM
prices more useful references for other forward
markets - Nodal price sends correct locational signals for
supply and demand-side investments
18Nodal pricing - what is it?
- The nodal price at any location is the
offer/bid-based cost of redispatching the system
to supply energy to the next increment of load at
that location... - Given the security-constrained dispatch
- Given the binding constraints and contingencies
- Given the offers/bids of the participants
- Nodal prices are market-clearing prices (not pay
as offered/bid)
19Nodal pricing possible design
- Dispatchable facilities would be settled based
upon nodal pricing - generators/importers would receive the nodal
price - dispatchable loads/exporters would pay the nodal
price - Remaining (most) loads would receive a uniform
price consisting of a weighted average of the
Ontario nodal prices for loads - The difference between the nodal prices at the
receipt and delivery locations provide a set of
congestion rents that are paid to the holders of
internal transmission rights
20Nodal Pricing - Next Steps
- No decision has been made by the DAMWG or IMO on
nodal pricing recommendations - Investigation by the IMO and involvement of the
DAMWG will continue in parallel with a broader
stakeholdering process - A position needs to be formulated by the IMO and
the industry by the end of Q1 2004 if market
enhancements, including nodal-based Day Ahead and
real-time markets, are to be implemented in a
timely manner
21DAM Design - Next Steps
- High level design concepts
- internal transmission rights
- settlement timelines and prudentials
22Nodal Pricing Stakeholder Process
23Nodal Pricing The Context
- Investigation of a nodal pricing model has
implications beyond the Day Ahead Market and will
attract interest from a broader set of
stakeholders - Education, analysis and consultation are the
pieces needed to allow IMO and stakeholders to
develop grounded positions
24Nodal Pricing The Stakeholder Plan
- Continue to use the DAMWG to discuss nodal price
issues - Engage broader stakeholder audience through
workshops and self-study material that will be
made available on the IMO website - Utilize MOSC as additional forum to discuss
issues as they arise
25Workshops
- Workshop 1 (early December)
- How nodal prices are determined (theory)
- The role of transmission rights
- How the current dispatch algorithm determines
nodal (shadow) prices - Economic arguments for nodal pricing
- Experience in other markets
- Workshop 2 (early January)
- Analysis of nodal prices to date
26Long-Term Resource Adequacy
27Overview
- Stakeholdering
- Long-Term Resource Adequacy Working Group Draft
Strawman Conclusions and Recommendations - Long-Term Resource Adequacy Working Group
Consensus Points and Issues - Next Steps
28Long-Term Resource Adequacy Stakeholdering
- Long-Term Resource Adequacy Working Group
(LTRAWG) - Over 25 members (w/ diverse membership)
- Meets every 2 weeks (18 meetings have been held
since March) - Completed Feasibility Assessment (June 2003)
- agreed on objectives, evaluation criteria,
paths/options, conclusions and recommendations - LECG (consulting firm) has provided and continues
to provide expert advice - At the June 11 MAC meeting, unanimous consensus
was reached - Acknowledgement that LTRAWG stakeholdering
process is effective - Agreed with conclusions and recommendations
contained in Feasibility Assessment
29LTRAWG Draft Strawman Conclusions and
Recommendations
- Long-term resource adequacy encompasses all
interrelated aspects of the Ontario electricity
market - The following draft LTRAWG recommendations
contain necessary elements that will help Ontario
move toward a complete and workable approach to
addressing long-term resource adequacy within a
competitive market framework
30Draft Strawman Conclusions and Recommendations
- The principle recommendations contained in the
Strawman are - 1) Work to introduce more realistic prices better
reflecting their scarcity value, in conjunction
with the implementation of some form of nodal
pricing, the development of greater
price-sensitive demand-response, and increased
competition amongst suppliers - 2) LSEs (multiple) should be created and
authorized to undertake the function of supplying
energy to default customers (who do not choose an
alternate supplier, e.g. retail marketer) - These LSEs would not have capacity procurement
obligations
31Draft Strawman Conclusions and Recommendations
- 3) Ontario should continue to meet at least the
NERC one day in ten years reliability standard
however, Ontario and neighbouring US
jurisdictions should work with NERC to introduce
a more economic approach to defining this
reliability standard - 4) IMO should develop a resource adequacy
(capacity) forward auction market to better
ensure compliance with NERC reliability standards
and to achieve appropriate levels of resource
adequacy
32Draft Recommendations
- RECOMMENDATION (1) Work to introduce more
realistic prices better reflecting its scarcity
value in conjunction with the implementation of
some form of nodal pricing, the development of
greater price-sensitive demand-response, and
increased competition amongst suppliers - The following elements need to be in place
- Prices should more accurately reflect shortage
and near-shortage conditions, accounting for
locational differences - All loads must be represented by many active
market buyers - Sufficient price-responsive demand
- Competitive suppliers
- Liquid contracting markets
- Market power mitigation without unnecessarily
suppressing competitive prices necessary to
induce new entry
33Draft Recommendations
- RECOMMENDATION (1) Continued
- Work to put some of these elements in place has
begun (e.g. increased price-responsive demand,
Pricing Team initiatives, etc.) - This work should continue and expanded to include
the missing elements - Acknowledgement that investigations of nodal
pricing are just beginning - Some missing elements require changes outside of
the IMO-administered markets
34Draft Recommendations
- RECOMMENDATION (2) LSEs (multiple) should be
created and authorized to undertake the function
of supplying energy to default customers (who do
not choose an alternate supplier, e.g. retail
marketer) - The implementation of Bill 210 effectively
removed 50 of the loads (mainly default supply
customers) from the market (as these loads pay a
fixed electricity charge and have no incentive to
be price-responsive) - It is essential for default supply customers to
be represented by active market buyers (with
ability and incentives to participate in spot and
contracting markets) - Therefore, LSEs should be created with the
obligation to supply energy to all default supply
customers and thus, all loads would be
represented by active market buyers (e.g.
industrial loads, LSEs, retail marketers)
35Draft Recommendations
- RECOMMENDATION (2) Continued
- Creation of multiple LSEs can provide the
following market benefits - Necessary counterparties to bilateral contracts
and participation in the spot markets - Incentives for more demand-response, demand-side
management and conservation - Incentives to develop distributed generation to
serve their load customers - OEFC no longer has to finance differences between
spot prices and fixed charge - Multiple LSEs provide greater buy-side
competition, as opposed to one single buyer - Default customers would be hedged from wholesale
spot price volatility through fixed-rate
contracts
36Draft Recommendations
- RECOMMENDATION (2) Continued
- LSEs should not be obligated to procure forward
resources (capacity) on behalf of their load
customers - Experience in the Northeast US markets (NYISO,
PJM and ISO NE) has shown the following problems - Complication with retail access creates
significant risks for LSEs to procure forward
resources - Difficulties in determining appropriate
deficiency charges to be levied on LSEs when
resource obligations are not met - Difficult to use actual performance and actual
consumption measures - Complexity associated with locational constraints
- Difficult to value installed capacity
requirements in response to prices - It is likely that Ontario would experience most
of these problems if LSEs were to have the
obligation of procuring forward resources
(capacity)
37Draft Recommendations
- RECOMMENDATION (2) Continued
- LSEs will be able to co-exist with LDCs (in
their existing role) and retail marketers - Criteria could be developed to allow large LDCs
to establish an affiliate LSE - Some markets have LSEs with default supply
responsibilities alongside a competitive retail
market - Issues have not been fully addressed - OEB
involvement has begun
38Draft Recommendations
- RECOMMENDATION (3) Ontario should continue to
meet at least the NERC one day in ten years
reliability standard however, Ontario and
neighbouring US jurisdictions should work with
NERC to introduce a more economic approach to
defining this reliability standard - At the present time, Ontario is in compliance
with the NERC standard administered through NPCC - However, to better ensure future compliance with
NPCC reliability criteria, Ontario should develop
an explicit mechanism to help address resource
adequacy
39Draft Recommendations
- RECOMMENDATION (4) IMO should develop a
resource adequacy forward auction market to
better ensure compliance with NERC reliability
standards and to achieve appropriate levels of
resource adequacy - In theory, a properly functioning market should
result in an economically efficient level of
resources. However, it is likely that this level
of resources would be, on average, lower than the
level called for under the present NERC
reliability standards (and more likely lower than
socially and politically acceptable levels).
Therefore some form of explicit mechanism of
assuring resource adequacy is required. - The preferred method is a resource adequacy
forward auction, this is consistent with the
direction of the Northeast US markets and could
provide for increased efficiencies towards
addressing reliability on a regional basis
40Draft Recommendations
- RECOMMENDATION (4)Continued
- A forward auction (e.g. auction held in 2005
would oblige sufficient capacity to come to
market in 2008 via must-offers for energy and
ancillary services in the real-time or day-ahead
market) allows planned resources (that have
passed their permitting stage but do not have
iron in the ground) to participate and ensure
their future in-service date - Incumbent generation, planned generation,
demand-side resources/programs, and maybe
transmission upgrades/expansion could qualify as
resource adequacy providers within this market - IMO could set different locational requirements
for resources - Implementation of a demand curve would mitigate
market power and could appropriately value
resource adequacy (i.e. capacity) - Preliminary results from NYISOs demand curve and
ICAP procurement are encouraging
41Issues for Draft Recommendations Going Forward
-
- The following additional issues have been noted
as impediments to achieving long-term resource
adequacy in Ontario. These must eventually be
addressed - Lack of competitive suppliers
- Barriers to investment (from Feasibility
Assessment)
42Long-Term Resource Adequacy Working Group Level
of Consensus
- Consensus regarding the draft recommendations
- Acceptance of the notion of a comprehensive and
holistic approach is required. Specifically with
respect to the recommendations the following have
consensus - Recommendation (1) Improvements to the
IMO-Administered Markets (e.g. more efficient
pricing, increased demand-response, increased
competition amongst suppliers, etc.). Nodal
pricing should be investigated but note that
comprehensive nodal pricing analysis is still
required prior to making any decisions whether it
should be implemented. - Recommendation (2) Acceptance of the concept of
creation of LSEs as active market buyers for
energy on behalf of default customers - Recommendation (3) Ontario must meet at least
the NERC one day in ten years reliability
standard and should work with neighbouring
jurisdictions and NERC to introduce a more
economic approach to defining this reliability
standard
43Long-Term Resource Adequacy Working Group Level
of Consensus
- Non-consensus regarding the draft
recommendations - Recommendation (2) Exact nature of and design of
LSEs and coordination with LDC and retailers
still to be explored - Recommendation (4) Not all members agree that an
explicit mechanism is required. If it is
required, most members would prefer a forward
auction-based approach to procuring capacity - Some members prefer contracting obligations
placed directly on loads (e.g. LSEs) - Some members would like other central procurement
options to be assessed (e.g. RFP or auction for
new capacity)
44Stakeholdering the Strawman and Next Steps
- LTRAWG has scheduled biweekly meetings until the
end of this year - LTRAWG is assessing the need and scope for
interim / transitional mechanisms that could be
made operational in 2004 - LTRAWG is assessing issues of high level design
that can make resource adequacy mechanisms
workable - e.g. is it sufficient to incent new investment
over the long-term - These recommendations, in conjunction with clear
and stable policies, must create sufficient
conditions for greater long-term contracting in
order to support new investment