Energy Industry Associations Tell FERC that DOE Proposal to Subsidize Coal, Nuclear Power Plants is Unsupported by Record, Would Throw a Costly Wrench into Electricity Markets
Joint filing from broad array of groups takes aim at financial “Beneficiaries” as the only entities to support the DOE proposal – and whose filings fail to establish that the proposed subsidies are needed or legally valid
In separate comments, AEE urged FERC to make any future examination of resilience fuel and technology neutral, allowing advanced energy to compete based on capabilities
WASHINGTON, D.C., Nov. 7, 2017 — A diverse group of a dozen energy industry associations representing oil, natural gas, wind, solar, efficiency, and other energy technologies today submitted reply comments to the Federal Energy Regulatory Commission (FERC) continuing their opposition to the Department of Energy’s (DOE) proposed rulemaking on grid resiliency pricing, in the next step in this FERC proceeding. Action by FERC is expected by December 11.
In these comments, this broad group of energy industry associations notes that most of the comments submitted initially by an unprecedented volume of filers, including grid operators whose markets would be impacted by the proposed rule, urged FERC not to adopt DOE’s proposed rule to provide out-of-market financial support to uneconomic coal and nuclear power plants in the wholesale electricity markets overseen by FERC.
Just a small set of interests – those that would benefit financially from discriminatory pricing that favors coal and nuclear plants – argued in favor of the rule put forward by DOE in its Notice of Proposed Rulemaking, or NOPR. But even those interests – termed “NOPR Beneficiaries” by the energy associations – failed to provide adequate justification for FERC to approve the rule, and their specific alternative proposals for implementing the bailout of these plants were just as flawed as the DOE plan, according to the energy industry associations.
“Even in the wake of hundreds of comments filed – most of them in opposition – there is no evidence that reliability and resilience of the electric power system are at risk, much less that there is an emergency that would justify giving preferential treatment for uneconomic power plants, at great cost to customers, particularly those in the Midwest and Atlantic states who would bear the brunt of that cost,” said Malcolm Woolf, senior vice president of policy for Advanced Energy Economy (AEE), one of the signatories of the joint comments. “The only interests speaking up for this proposed rule are those that would gain from it what they cannot in open competition. I hope that FERC sees this proposal for what it is – a politically motivated bailout with no benefit for the public – and puts an end to it.”
In the new reply comments – submitted in response to the initial comments filed by hundreds of stakeholders on or before October 23 – the energy industry associations made the follow points:
Despite hundreds of comments filed, no new information was brought forth to validate the assertion – by DOE or the NOPR Beneficiaries – that an emergency exists that requires accelerated action to prop up certain power plants that are failing in competitive electricity markets:
Nearly all of the initial comments filed in the matter take issue with the DOE NOPR and its claim of imminent threats to the reliability and resilience of the electric power system:
Grid operators filed comments refuting claims that the potential retirement of coal and nuclear plants which could not compete economically present immediate or near term challenges to grid management:
The need for NOPR Beneficiaries to offer alternative proposals reflects the weakness of DOE’s rule as drafted, but their options for propping up uneconomic power plants are no better, practically or legally:
Citing one example, the energy groups note that the detailed plan put forward by utility FirstEnergy Service Co. would provide preferential payments far more costly than those now provided to individual power plants needed for immediate reasons (and given a “reliability must run” contract, or RMR):
Calling the action FERC would be required to take in adopting the DOE proposal “unprecedented,” the energy industry associations reiterate their opposition:
The follow energy industry associations are among those signing the joint comments:
Several other groups and individual energy companies signed the comments as well.
AEE also submitted an additional set of reply comments on its own. In that filing, AEE advised that any future examination of resilience by FERC should be fuel and technology neutral. In proposing discriminatory treatment in favor of specific resources (namely coal and nuclear power), DOE’s NOPR ignored the many ways that advanced energy technologies can and do support resilience, as in the case of the Polar Vortex, where it is documented that natural gas and wind generation, along with demand response, met electric power needs when coal piles froze and power plants experienced mechanical failure due to low temperatures.
“Rather than asserting that coal and nuclear power are needed for resilience, giving undue credit to onsite fuel supplies, FERC should examine what is truly needed to make the electric power system more resilient, and allow all energy resources to show how they could contribute,” said Woolf. “On a technology-neutral basis, advanced energy wins.”
About Advanced Energy Economy
Advanced Energy Economy is a national association of businesses that are making the energy we use secure, clean, and affordable. Advanced energy encompasses a broad range of products and services that constitute the best available technologies for meeting energy needs today and tomorrow. AEE’s mission is to transform public policy to enable rapid growth of advanced energy businesses. AEE and its State and Regional Partner organizations are active in 27 states across the country, representing more than 1,000 companies and organizations in the advanced energy industry. Visit AEE online at www.aee.net.
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Media Contact:
Monique Hanis, mhanis@aee.net, 202-391-0884