Default Service Stipulation Maintains Bypassable Rate Components Originally Proposed For Removal
Settlement Calls For Study Of Retail Supplier Uncollectibles
Utility Withdraws EV Subscription, Managed Charging Proposals
Utility To Provide Data To Retail Suppliers To Facilitate Participation In PJM Ancillary Services Market
Switching Fee To Be Removed
April 11, 2023 Email This Story Copyright 2010-21 EnergyChoiceMatters.com
Reporting by Paul Ring • email@example.com
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A stipulation among major parties to the electric security plan proceeding (ESP 4) of Dayton Power & Light (AES Ohio) would maintain a bypassable rate component of the standard service offer (SSO) that AES Ohio had originally proposed to make nonbypassable, with the stipulation also scaling back AES Ohio's proposed EV customer offerings
The stipulation has been signed by AES Ohio, Staff of the PUC of Ohio, several large industrial groups and individual large customers, Interstate Gas Supply, the Retail Energy Supply Association, Ohio Partners For Affordable Energy, and the City of Dayton, among other parties. The Ohio Consumers' Counsel is not a signatory to the stipulation
The stipulation would establish the term of ESP 4 as three years
Under the stipulation, AES Ohio will continue recovery of uncollectible expenses associated with bypassable standard service offer rates through a bypassable component of the SOR (Standard Offer Rate)
AES Ohio had originally proposed to remove uncollectible expenses from the SOR, with recovery instead through distribution rates, as proposed in a separate rate case. The stipulation provides that the bypassable uncollectible expenses under the SOR will be refunded to all customers through a nonbypassable rider
The settlement provides for a study on uncollectibles
Specifically, the stipulation provides that PUCO Staff will issue a Request for Proposal to review data associated with uncollectible expense recovery. Specifically, the consultant shall conduct a review of:
A. Customer account billing records for both SSO and CRES customers in which balances were written off during the 12 months prior to the signing of the Stipulation;
B. The Company’s (AES Ohio) collection and disconnection practices;
C. The process for applying partial payments; and
D. Any other records or information deemed appropriate.
Under the stipulation, AES Ohio shall continue its Standard Offer Rate (SOR) (Tariff Sheet No. G10) with its current rate design methodology, update process, and audit schedule
The settlement provides that AES Ohio shall maintain 100% competitive bidding for its Standard Service Offer (SSO) load and will conduct two auctions annually through the term of ESP 4. Recently, AES Ohio has conducted only a single SSO procurement per year, aside from some changes due to PJM scheduling
Additionally, absent any change via litigation, AES Ohio will reinstate laddering to the SSO portfolio (i.e., each bidding
session will include multiple years), "which will also lower the risk that auction prices
will be set during a price spike," AES Ohio said.
As previously reported, AES Ohio proposes to return to a mix of laddered 12, 24 and 36-month contracts for SSO. This had historically been a part of DP&L's SSO portfolio, but had been modified due to various delays in the PJM Base Residual Auction.
The stipulation allows signatory parties to propose changes to the competitive bid process, under reserved litigation in the instant proceeding. However, absent any changes through such litigation, AES Ohio would implement its proposed competitive bid process as set forth in its original proposal.
Generally, the auction product would mirror the current, mostly full requirements, product. As done currently, AES Ohio would continue to supply the Renewable Energy Credits required to cover its obligations under R.C. 4928.64 relating to the SSO load.
Concerning transmission charges, the settlement provides, "AES Ohio will bill all non-residential customers taking service at primary voltage and above, and any non-residential customers taking service at secondary voltage that opt-in, for all TCRR demand charges on the basis of their Network Service Peak Load (NSPL). Billing based on NSPL shall be implemented starting June 2025. Secondary customers who opt-in to TCRR charges billed on the basis of their NSPL may not opt-out within two years of opting-in. This change in transmission billing shall not shift any transmission costs to residential customers. AES Ohio will continue its existing TCRR Opt-Out Pilot program until the NSPL billing change is effective, at which point the program will cease. Enrollment in the existing TCRR Opt-Out Pilot program shall be open to Signatory Parties (including their members, affiliate members, customers, or members’ customer) served at secondary voltage or primary voltage and above on an opt-in basis. Enrollment in the existing TCRR Opt-Out Pilot program shall be capped at 50 customers. For residential customers, billing for the TCRR shall continue to operate as it does now."
The stipulation further provides that, "As part of the Grid Mod Implementation Update Group established in Case No. 18-1875-EL-GRD et al., AES Ohio agrees to discuss converting the results of its SSO competitive bid process into retail rates for SSO customers with on-peak and off-peak rates. With this group, AES Ohio agrees to discuss potential roadblocks or timing issues with deployment of such rates, including the time-of-use rate requirements in the Stipulation and Recommendation from that case, potential limitations of its current and planned billing systems, and deployment of smart meters. The Group will also discuss such issues as whether such an on-peak and off-peak pricing methodology for SSO customers should be on an opt-out basis."
The stipulation provides that, upon receiving all necessary customer consent, AES Ohio will provide, without additional cost, CRES providers [retail suppliers] and third-party aggregators available customer data to allow them to enroll residential accounts to participate in the PJM ancillary services market, including but not limited to the customer’s peak load contribution.
"As part of the first meeting of the Grid Mod Implementation Update Group established in Case No. 18-1875-EL-GRD et al. after approval of this Stipulation, AES Ohio will discuss what data may be available under this Section and when usable data will be available. Usable data sharing under this Section shall begin no more than one year from the date of such Grid Mod Implementation Update Group meeting, unless AES Ohio notifies the Grid Mod Implementation Update Group that more time is required to implement the program," the settlement provides
The stipulation would authorize AES Ohio to implement an optional Green Energy Alternative Tariff to offer agreements with mercantile customers to construct customer-sited renewable energy resources pursuant to R.C. 4928.47. Each agreement between AES Ohio and mercantile customers electing to take service under this tariff shall be submitted to the Commission for approval pursuant to R.C. 4928.47.
As originally proposed by AES Ohio, "Once interested customers are identified, AES Ohio will work with them to develop customer-sited renewable energy resources. Customers will commit to switching to this option upon commercial in-service dates of the renewable energy resource and will agree to other terms regarding length and pricing per a contract between the Company and mercantile customer."
The stipulation provides that AES Ohio agrees to eliminate the switching fees in Tariff Sheet Nos. D34 and G9.
AES Ohio may request to re-implement switching fees in a future rate case or other proceeding.
Withdrawn utility-offered programs include a residential remote load control program and a residential behavioral program
Instead, AES Ohio's ratepayer-funded offerings established in the ESP will be limited to a low-income assistance program which shall include: (1) a weatherization and bill payment assistance program, and (2) a disadvantaged communities energy initiative (which will award certain selected communities with funding for utility bill payment assistance, reconnection fees, deposits to establish service due to an arrearage, and weatherization).
AES Ohio also withdrew its request for ratepayer cost recovery for most of its proposed electric vehicle (EV) programs, including proposals where AES Ohio would own EV charging equipment, and proposals for "managed charging" programs for both residential and commercial customers
AES Ohio will offer a Residential Off-Peak Incentive Program under which EV customers will be eligible to receive a recurring $0.05 per kWh incentive
for charging during off-peak times. Customers may receive in the incentive regardless of whether they are on the SSO or if they are shopping with a retail supplier