ERCOT·WATCH Search ercot.com  ⌕
NPRR #473 · Revision Request

NPRR473  Process for Submission of Generation Resource Weatherization Information

Approved sponsor ERCOT posted 2012-08-08 ercot.com
ReasonERCOT is obligated by statute and by P.U.C. Subst. R. 25.362 to collect emergency operations plans and to assess reliability of the ERCOT System during extreme weather. This NPRR removes the need for future Market Notices and will provide greater transparency of ERCOT’s collection and intended use of this information.
Created2012-08-23
Approved2012-12-11
Sections Affected
1.3.1.13.21 (new)22K (new)
Summary
This Nodal Protocol Revision Request (NPRR) creates a process to accommodate the legislatively mandated submission of generator emergency operations plans. (See Texas Utilities Code § 186.007(f) Weather Emergency Preparedness Report - ("An electric generation entity within the ERCOT power region shall provide the entity’s [emergency operations] plan to ERCOT in its entirety.")). ERCOT has previously requested these plans pursuant to its authority under paragraph (i)(2)(H) of P.U.C. Subst. R. 25.362, Electric Reliability Council of Texas (ERCOT) Governance , which requires ERCOT to provide "[a]n assessment of the reliability and adequacy of the ERCOT system during extremely cold or extremely hot weather conditions, including information regarding steps to be taken by power generation companies and utilities to prepare their assets for extreme weather events." Based on its authority under this statute and rule, ERCOT believes it appropriate to create a formal process for submission of emergency operations plans and plan updates; to recognize the confidential status of information contained in these plans. ERCOT also proposes to require separate submission of weatherization plans for each Generation Resource, as the bulk of the emergency operations plans previously submitted do not pertain to weatherization, and requiring ERCOT to sort through lengthy plans to identify parts that may or may not be intended to apply to weatherization procedures imposes a substantial administrative burden. ERCOT expects that some Resource Entities may prefer to simply extract and submit the existing weatherization portions of existing emergency operations plans, while other Resource Entities may wish to create new plans providing greater detail of weatherization practices. Furthermore, in order to fulfill its regulatory obligation to assess ERCOT System reliability in extreme weather conditions, ERCOT must ensure that plant operators are in fact following the weatherization procedures described in the submitted weatherization plans. ERCOT therefore proposes a semi-annual weatherization declaration to determine ERCOT System preparedness. This declaration would represent that the Resource Entity (or other Entity responsible for the physical operation of a Generation Resource) has completed all weatherization preparations for the upcoming summer and winter season. Finally, in addition to expanding the categories of Protected Information to include emergency operations plans and weatherization plans, ERCOT proposes revisions to paragraph (p) of Section 1.3.1.1 to clarify that all information designated as Protected Information is considered Protected Information, unless it is expressly deemed otherwise by Section 1.3.1.2, Items Not Considered Protected Information, or is no longer confidential, as provided by Section 1.3.3, Expiration of Confidentiality. Existing language could be read to provide that any information a Market Participant is required to submit is not considered Protected Information. Also, the express exclusion of information provided in support of a Reliability Must-Run (RMR) application is redundant of an identical exclusion in paragraph (f) of Section 1.3.1.2.
Action Log 5 milestones
Amendments
DateBodyMotionResult
Oct 18 '12PRS To recommend approval of NPRR473 as amended by the 10/9/12 ERCOT comments and as revised by PRSPassed
Nov 15 '12PRS To endorse and forward the 10/18/12 PRS Report as revised by PRS and the Impact Analysis to TACPassed
Documents 13
NameTypePostedClassification
473NPRR-01 Submission of Generation Resource Weatherization Info doc Aug 8 '12 Revision Request
473NPRR-02 Impact Analysis 080812 doc Aug 8 '12 Staff Report
473NPRR-03 WMS Comments 081612 doc Aug 16 '12 Revision Request Comments
473NPRR-04 PRS Report 082312 doc Aug 28 '12 Committee Report
473NPRR-05 Calpine Comments 083112 doc Aug 31 '12 Revision Request Comments
473NPRR-06 Luminant Comments 092812 doc Sep 28 '12 Revision Request Comments
473NPRR-07 ERCOT Comments 100912 doc Oct 9 '12 Revision Request Comments
473NPRR-08 CPS Energy Comments 101712 doc Oct 17 '12 Revision Request Comments
473NPRR-09 Topaz Comments 101812 doc Oct 18 '12 Revision Request Comments
473NPRR-10 PRS Report 101812 doc Oct 23 '12 Committee Report
473NPRR-11 PRS Report 111512 doc Dec 5 '12 Committee Report
473NPRR-12 TAC Report 112912 doc Nov 30 '12 Committee Report
473NPRR-13 Board Report 121112 doc Dec 12 '12 Committee Report
Meetings That Took It Up 12
DateMeetingCommitteeStatus
Dec 11 '12 Board of Directors Meeting BOARD Concluded
Nov 29 '12 Technical Advisory Committee (TAC) Meeting TAC Concluded
Nov 15 '12 Protocol Revision Subcommittee (PRS) Meeting PRS Concluded
Oct 18 '12 Protocol Revision Subcommittee (PRS) Meeting PRS Concluded
Oct 10 '12 Wholesale Market Subcommittee (WMS) Meeting WMS Concluded
Oct 1 '12 Workshop - NPRR473 ROS Concluded
Sep 20 '12 Protocol Revision Subcommittee (PRS) Meeting PRS Concluded
Sep 12 '12 Wholesale Market Subcommittee (WMS) Meeting WMS Concluded
Sep 10 '12 Qualified Scheduling Entity Managers Working Group (QMWG) Meeting QMWG Concluded
Aug 23 '12 Protocol Revision Subcommittee (PRS) Meeting PRS Concluded
Aug 16 '12 Reliability and Operations Subcommittee (ROS) Meeting ROS Concluded
Aug 15 '12 Wholesale Market Subcommittee (WMS) Meeting WMS Concluded