loads in sced comments submitted by luminant energy company, llc

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Loads in SCED Comments submitted by Luminant Energy Company, LLC

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Page 1: Loads in SCED Comments submitted by Luminant Energy Company, LLC

Loads in SCEDComments submitted by Luminant Energy

Company, LLC

Page 2: Loads in SCED Comments submitted by Luminant Energy Company, LLC

Objective:

• Maximize opportunities for load participation from eligible existing and future load resources

• Create an economically efficient method for price formation associated with Load Real-time (RTM) energy bids

Page 3: Loads in SCED Comments submitted by Luminant Energy Company, LLC

Key Issues:

• The proposed five-minute response time to SCED instruction may discourage participation from existing load control programs

• All load resources should be treated equitability and comparable to traditional resources (where practical)

Page 4: Loads in SCED Comments submitted by Luminant Energy Company, LLC

Key Issues:

•Performance metrics should be reasonable, repeatable, verifiable, and benchmarked at least seasonally.

•Program design should, to the extent practicable, accommodate price sensitive loads that would otherwise engage in passive response.

Page 5: Loads in SCED Comments submitted by Luminant Energy Company, LLC

Equitable Treatment:

•Response expectations consistent with achievable current program standards

•All Load Resources must submit or accept a proxy RTM Energy Bid and be dispatched by SCED

•Restoration time should be consistent with current requirements for loads

Performance Stds, M&V

•No punishment for “over-performance” from energy products

•Capacity values should be tested and verified no less than seasonally

•Tested and qualified LRs should be benchmarked against metered or calculated capacity

EFFICIENT AND INCLUSIVE MARKET DESIGN FOR LOADS

For improved participation and price formation, focus on equitable treatment and achievable standards

Page 6: Loads in SCED Comments submitted by Luminant Energy Company, LLC

Detailed Approach: Response ExpectationsIssue:

Existing load response programs (e.g. interruptible thermostats, pool pumps, water heaters, etc) may take longer than 5-minutes to provide response.

Proposed Solution: Allow loads to submit their five-minute ramp rate to be achievable over ten-minutes.

Consequence of no action:Existing load control programs will likely not participate in Loads in SCED v.1

Page 7: Loads in SCED Comments submitted by Luminant Energy Company, LLC

Detailed Approach: Equitable Treatment RTM Energy Bids

Issue:Current protocols allow certain loads to be dispatched by out-of-market instructions, potentially dampening prices during times of scarcity.

Proposed Solution: All load resources should be required to submit or accept an ERCOT proxy assigned a Real-time Energy Bid.

Consequence of no action:Loads dispatched by an out of market instruction will continue to lower prices, potentially when the marginal benefit of an additional MW is approaching VOLL

Page 8: Loads in SCED Comments submitted by Luminant Energy Company, LLC

Load Resources providing• RRS • RRS by High-set UFR• Offline/Online Non-Spin

Must submit or accept proxy RTM Energy Bids consistent with existing floors and ceilings for generators, and retain dispatcher control / frequency response of ancillary services

Detailed Approach: Equitable Treatment RTM Energy Bids

Page 9: Loads in SCED Comments submitted by Luminant Energy Company, LLC

Example: Deployment of RRS with RTM Energy

Bids, SCED Dispatch

•Upon EEA Level 2, Release RRS to SCED.•RTM Energy Bids for RRS capacity released to SCED shall be consistent with the appropriate ceilings and floors•RTM Energy Bids will be slightly above SWOC, randomly separated by a penny, to ensure timely deployment of loads, as needed, by SCED, before RRS provided by generation resources

Page 10: Loads in SCED Comments submitted by Luminant Energy Company, LLC

Retaining Reliability Tools

• The ERCOT dispatcher will retain control of the release of RRS Capacity to SCED, and

• Loads providing RRS via high-set under-frequency relays will still deploy to a drop in system frequency, until such capacity is dispatched in an Energy Emergency Alert Level II.

Page 11: Loads in SCED Comments submitted by Luminant Energy Company, LLC

Equitable Treatment of Loads: Recovery after deployment

Current Nodal Protocols* allow loads providing Non-Spin and RRS up to three hours to resume consumption.

Luminant’s proposal retains this restoration time, but further stipulates that the deployed load should contribute to price formation as if it were any other deployed resource in the RT offer stack. (Deployed load added back to GTDB)

*Section 8.1.1.4.2 Paragraph (1) (d) & Section 8.1.1.4.3 Paragraph (3) (e)

Page 12: Loads in SCED Comments submitted by Luminant Energy Company, LLC

Update to Generation to be Dispatched (GTBD)

A decrease in load associated with a successful deployment of a load resource (analogous to a decrease in system demand) will decrease GTDB, and move the System Lambda down the system incremental cost curve.

Luminant proposes adding back deployed load resources to the GTBD calculation to ensure efficient price formation.

Page 13: Loads in SCED Comments submitted by Luminant Energy Company, LLC

Performance Standards / M&V

For Loads submitting Energy Bids(with no A/S responsibility) and/or providing Non-Spin Luminant proposes Base Point Deviation Charges for failure to respond to SCED curtailment.

Multiple instances of failing performance metrics (CLREDP) should result in a disqualification of that Controllable Load Resource.

Page 14: Loads in SCED Comments submitted by Luminant Energy Company, LLC

Performance Standards / M&V

For RRS Ancillary Service Resource Responsibilities:Luminant maintains that the current penalties are sufficient to ensure adequate response. These include:

• Disqualification for repeated non-performance• Potential report to TRE for non-compliance /

potential administrative penalties.

Page 15: Loads in SCED Comments submitted by Luminant Energy Company, LLC

Performance Standards / M&V

However, to accommodate “blocky” loads and Controllable Load Resources not independently metered from passive load on the same meter, Luminant suggests eliminating penalties for “over-performance” for all Controllable Load Resources.

Page 16: Loads in SCED Comments submitted by Luminant Energy Company, LLC

Total Metered Load = Net Power Flow = Powertelem, = C

Total Available Load Resource Capacity, = MPC-LPC, determined by algorithm

Passive, non-curtailable load, calculated as C-B

A

B

LPC Total Metered Load, = Net Power Flow, = Powertelem, = C

MPC

LPC

B

A

Passive Load Decreases

Performance Standards: Example 1

In this example, if passive load curtails consumption coincident with a deployment of a Controllable Load Resource (CLR), the metered response may suggest that the CLR “over-performed” to a SCED instruction.

MPC

Page 17: Loads in SCED Comments submitted by Luminant Energy Company, LLC

Total Metered Load, = Net Power Flow, = Powertelem, = C

Total Available Load Resource Capacity, = MPC-LPC, determined by algorithm

Passive, non-controllable load, calculated as C-B

A

B

LPC

Base Point

MPC

Performance Standards: Example 2

In this example, if a load over-performs to its Base Point, Luminant suggests that this load is not subject to Base Point Deviation Charges. Luminant believes that absent this change, “blocky” loads will be discouraged from participating in Loads in SCED.

A

B

MPC

LPC

Curtailment achieved

Page 18: Loads in SCED Comments submitted by Luminant Energy Company, LLC

Measurement and Verification

Numerous existing aggregations of residential controllable load are not independently metered.

Interruptible thermostats, pool pumps, and other aggregated residential loads depend on a time of day / seasonal algorithm to determine available and achieved capacity in real-time.

Page 19: Loads in SCED Comments submitted by Luminant Energy Company, LLC

Measurement and VerificationTo attract participation from existing load control programs, Luminant suggests that:– Controllable loads providing Ancillary Services not independently

metered from passive loads behind the same meter qualify based upon a seasonal demonstration of the efficacy of the calculated capacity values.

– Qualified controllable loads providing Ancillary Services are accountable for satisfying Controllable Load Resource Energy Deployment Performance (CLREDP*). Multiple failures to meet CLREDP standards shall disqualify a CLR.

* Consistent with the recommendations in this presentation, Luminant proposed modifying the CLREDP standards to only penalize under-response

Page 20: Loads in SCED Comments submitted by Luminant Energy Company, LLC

Summary:

Luminant’s proposal, as presented, is designed to

• Maximize participation of existing load aggregations, while

• Actively contributing to efficient price formation.

Page 21: Loads in SCED Comments submitted by Luminant Energy Company, LLC

Summary

Specifically, to create an equitable market for loads, Luminant suggests:– Establish performance expectations and

verification requirements such that existing programs can participate

• Allow M&V by algorithm, and seasonal verification• Remove penalties for over-performance for all loads • Maintain current penalty structure for non-

performance by loads with an RRS Ancillary Service Resource Responsibility

Page 22: Loads in SCED Comments submitted by Luminant Energy Company, LLC

Summary

Specifically, to create an equitable market for loads, Luminant suggests:– Require all controllable load resources either submit

or accept by proxy a RTM Energy bid and be dispatched by SCED.

• Allow dispatcher deployment, and SCED dispatch of all Loads providing Ancillary Services

• Retain restoration time for CLRs providing RRS, while counting that deployed load as a dispatched resource in GTDB

Page 23: Loads in SCED Comments submitted by Luminant Energy Company, LLC

Questions?