BILL ANALYSIS                                                                                                                                                                                                    Ó



                                                                  AB 1499
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          Date of Hearing:   May 1, 2014

                       ASSEMBLY COMMITTEE ON NATURAL RESOURCES
                                Wesley Chesbro, Chair
                   AB 1499 (Skinner) - As Amended:  April 21, 2014
           
          SUBJECT  :   Self-generation incentive program

           SUMMARY  :   Extends funding and administration of the  
          Self-Generation Incentive Program (SGIP) for three years,  
          authorizing the Public Utilities Commission (PUC) to collect  
          $249 million more from utility customers to fund payments to  
          customer-owned distributed energy resource (DER) projects and  
          related expenses until 2019 pursuant to SGIP.

           EXISTING LAW  :

          1)Authorizes the PUC to authorize investor-owned electric  
            utilities to collect up to $83 million per year from their  
            customers through distribution rates through 2014 to fund  
            SGIP.

          2)Requires SGIP to be administered until 2016.  Under the SGIP,  
            utilities provide ratepayer-funded rebates for eligible DER,  
            including wind, advanced energy storage, and natural gas or  
            renewable gas fuel cells and combined heat and power (CHP)  
            combustion projects.

          3)Requires the PUC to administer a separate program for solar  
            technologies pursuant to the California Solar Initiative  
            (CSI).

          4)Provides that eligibility is limited to DER that the PUC, in  
            consultation with the Air Resources Board (ARB), determines  
            will achieve reductions in greenhouse gas (GHG) emissions.

          5)Requires fossil fuel combustion projects to meet specified  
            emission and efficiency standards.

          6)Requires the PUC to ensure that distributed generation (DG)  
            resources are made available for all ratepayers.

          7)Requires the PUC to provide a 20 percent higher payment for  
            installation of DG projects from a "California supplier,"  
            which is defined as any business entity that manufactures  








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            eligible DG resources in California and that meets either of  
            the following criteria:

               a)     The owners or policymaking officers are domiciled in  
                 California and the permanent principal office, or place  
                 of business from which the supplier's trade is directed  
                 or managed, is located in California.

               b)     A state-licensed business that owns and operates a  
                 manufacturing facility located in California that builds  
                 or manufactures eligible DG resources, and employs  
                 California residents, for five years prior to providing  
                 eligible DG resources to a SGIP recipient.

          8)Prohibits recovery of SGIP costs from customers participating  
            in the California Alternate Rates for Energy program, a  
            utility discount for low-income customers.

          9)States the intent of the Legislature that SGIP increase  
            deployment of DG and energy storage systems to facilitate the  
            integration of those resources into the electrical grid,  
            improve efficiency and reliability of the distribution and  
            transmission system, and reduce GHG emissions, peak demand,  
            and ratepayer costs.  

          10)States the intent of the Legislature that the PUC provide for  
            an equitable distribution of the costs and benefits of the  
            program.

           THIS BILL  extends the PUC's authority to require collection of  
          funds to support SGIP through 2017 and requires SGIP to be  
          administered until 2019.

           FISCAL EFFECT  :   $249 million through 2017 from utility  
          customers.  Approximately seven percent of SGIP funds are  
          budgeted for administration by program administrators and the  
          PUC.

           COMMENTS  :

           1)Author's statement  .  

                Under current law, SGIP expires on December 31, 2014.  With  
               continued authorization, SGIP seeks to help California meet  
               our goals for clean air, reduced GHG emissions, reduced  








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               electricity demand, and enhance markets for preferred  
               resources.  SGIP is also the only incentive program for  
               energy storage projects, which play a critical role in  
               reducing the need for "peaker plants," increasing the  
               stability and reliability of our electrical system, and  
               delivering and integrating renewable energy resources.
             
          2)SGIP history  .  On August 31, 2000, the final day of the  
            1999-2000 Legislative Session, AB 970 (Ducheny) was gutted and  
            amended.  The bill included a variety of provisions quickly  
            cobbled together in an effort to respond to the emerging  
            energy crisis in San Diego, where San Diego Gas and Electric  
            was the first utility to expose its customers to unfrozen  
            rates under California's ill-fated experiment with electric  
            industry restructuring.  Because the crisis was misunderstood  
            at the time to be the result of a physical supply shortage, AB  
            970's primary focus was to increase electric generation  
            supply, and most of the bill's provisions were related to  
            expediting the siting of power plants.  
           
            Buried on page 20 of the 22-page bill was a single sentence  
            requiring the PUC to adopt "(d)ifferential incentives for  
            renewable or super clean distributed generation resources"  
            within 180 days of the effective date of the bill.  Aside from  
            the objective to "reduce demand for electricity and reduce  
            load during peak demand periods," no further definitions or  
            instructions were included in AB 970.  The bill required the  
            "reasonable costs" of the PUC's action to be included in the  
            distribution revenue requirement of PUC-regulated utilities.   
            This provision was not even mentioned in the Senate or  
            Assembly bill analyses.

            Pursuant to this provision of AB 970, the PUC established the  
            SGIP in 2001, offering customer rebates for renewable and  
            "super clean" DG.  SGIP has been extended and/or modified by  
            at least six bills since then.  Over the last 13 years, the  
            SGIP has offered rebates for installation of solar, wind, fuel  
            cell, and certain renewable and fossil fuel combustion  
            projects meeting specified emissions and efficiency standards.  
             

            In 2006, AB 2778 (Lieber) extended SGIP for wind and fuel  
            cells until 2012, but excluded combustion projects.  In 2009,  
            SB 412 (Kehoe) extended SGIP collection through 2011, modified  
            eligibility to include fossil fuel projects that reduce GHG  








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            emissions, and required the PUC to administer the program  
            until 2016 (the additional time was allotted to spend a $200+  
            million surplus accumulated from prior years). 

            In response to a December 22, 2010 request from SGIP  
            administrators, the program was suspended by a PUC ruling  
            issued February 10, 2011, which froze applications received on  
            or after January 1, 2011.  The reason for the suspension was  
            that a rush of awards and applications, mostly from a single  
            vendor (Bloom Energy), had nearly exhausted both the current  
            budget and the accumulated surplus, leaving less funding than  
            expected for future awards under SB 412.  Later in 2011, the  
            PUC adopted a decision implementing SB 412 and reinstated the  
            program.   At the same time, the PUC made "advanced energy  
            storage" (e.g., battery) systems eligible for SGIP incentives.

            Notwithstanding the issues with the program and the SB 412  
            agreement to cap funding and sunset SGIP in 2016, in 2011 AB  
            1150 (V. Manuel Pérez) allowed the PUC to fund SGIP for an  
            additional three years.  Under AB 1150, the PUC may authorize  
            the utilities to collect up to $83 million per year from their  
            customers through December 31, 2014.  However, AB 1150  
            maintained the January 1, 2016 sunset on the program, at which  
            time the PUC must provide repayment of all unallocated funds  
            to reduce ratepayer costs.

           3)Recent SGIP evaluation  .  The most recent evaluation of SGIP,  
            "2012 SGIP Impact Evaluation and Program Outlook," was  
            prepared by Itron under contract and published by the PUC on  
            February 7, 2014.  Among the report's key findings are:

                 SGIP spent an average of $311 per metric ton of GHG  
               reductions through 2012.
                 Ratepayers paid $33 million in incentives for $7 million  
               in benefits (avoided costs) in 2012.
                 Of the completed SGIP projects, excluding photovoltaic  
               (PV) projects: 
                  o         52 percent of the project capacity remains  
                    operational.
                  o         8 percent of the project capacity has been  
                    decommissioned.
                  o         14 percent of the project capacity is offline.
                  o         26 percent of the project capacity has unknown  
                    status.
                 Assuming build-out of the queue of pending SGIP projects  








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               and continuation of the current program guidelines and  
               rules, GHG emission reductions and peak demand reductions  
               will grow.
                 There is insufficient independent information to  
               quantify market transformation impacts.

           1)SGIP objectives and performance  .  According to the PUC, the  
            four goals of SGIP are:

                 Reduce peak demand
                 Reduce GHG emissions
                 Promote system reliability
                 Contribute to market transformation of DER

            As the committee considers extending SGIP, members may wish to  
            consider how the program is performing with respect to the  
            four PUC goals, whether these four goals are the right goals,  
            and what adjustments may be necessary if the committee  
            determines that a further commitment of funds to the program  
            is justified.

                 Reduce peak demand:
             
             According to the SGIP evaluation report, in 2012, ratepayers  
            paid $33 million in incentives for $7 million in benefits,  
            known as avoided costs.  Since the report, the PUC provided  
            the committee with the following additional information  
            regarding peak demand performance since SB 412 was  
            implemented:

               There is not currently adequate data available to  
               accurately calculate or predict peak demand savings for  
               projects funded and in the queue since D.11-09-015.  The  
               current lack of data can be attributed to two factors:

                  a)        There are simply too few systems installed  
                    since D.11-09-015 that have been operating long enough  
                    to provide a sufficient data set to accurately report  
                    or predict peak demand savings.

                  b)        There are currently data transfer issues  
                    between the SGIP database administrator and the  
                    program administrators.  The database administrator is  
                    in the process of adjusting the database so that it  
                    may receive all data for all projects.  As the  








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                    database administrator and the PAs were not  
                    anticipating the need to analyze this data until June  
                    2014, the database infrastructure to receive certain  
                    data necessary for this analysis is not in place at  
                    this time.
            
            The PUC reports that the data transfer issue will be resolved,  
            and additional data will be available later this year.

                 Reduce GHG emissions:
             
             As a GHG reduction measure, SGIP would appear to fail the  
            cost-effectiveness test.  Many of the projects funded have not  
            produced emission reductions.  Of the projects that do produce  
            emission reductions, some only achieve reductions based on a  
            debatable analysis of their actual impact.  In most cases, the  
            reductions have come at a very high cost - an average of $311  
            per metric ton for projects funded prior to the 2011 PUC  
            decision implementing SB 412 and $232/ton for projects funded  
            since SB 412 implementation.  At the top of the range are  
            electric-only natural gas fuel cells, which have also received  
            the bulk of SGIP funds, at an average cost of $1,040/ton prior  
            to SB 412 implementation and $1,743/ton since SB 412  
            implementation.

            For comparison, here are costs per metric ton provided by ARB  
            for measures adopted pursuant to AB 32:

               a)     Offset credit:  $8-8.46 (prices on Intercontinental  
                 Exchange Spot Market).
               b)     Allowance:  $11.48 (price for 2014 vintage allowance  
                 at February 2014 auction).
               c)     Low-carbon fuel standard credit:  $48.
               d)     33 percent Renewables Portfolio Standard (RPS):   
                 $24.
               e)     Energy efficiency:  -$109.
               f)     Refrigerant management:  -$2.

            The funds now dedicated to SGIP could achieve far greater GHG  
            reductions if spent on efficiency or any number of other  
            measures, or focused on DER projects with high GHG reduction  
            potential, such as the conversion of open dairy lagoons to  
            methane-capturing digester/generation projects.
          
                 Promote system reliability:








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            Actual reliability of installed projects is largely unknown,  
            but survey information suggests that a large percentage of  
            SGIP-funded projects are either no longer operating or are  
            operating at less than their installed capacity.  A PUC  
            investigation on CHP performance in 2010 found that CHP  
            projects experienced increased time spent not operating,  
            reductions in output when operating, and decreases in  
            electrical efficiency and thermal heat recovery over time.   
            The investigation further found that unexpected levels of  
            maintenance and economic complexity have dampened participant  
            satisfaction.  It is unclear whether the current reliability  
            of SGIP projects are the same, better, or worse than what was  
            reported in 2010.  The 2012 SGIP evaluation report could not  
            find operational information on 26 percent of the projects and  
            another 22 percent of the projects either were decommissioned  
            or offline.

                 Contribute to market transformation of DER:

            Although "market transformation" is not mentioned in the SGIP  
            statute, much less defined, the PUC states that it is one of  
            the four principal goals of the program.  In practice, market  
            transformation seems to be the unmeasurable X factor to  
            support the claim that SGIP benefits justify its costs to  
            ratepayers.

            In the case of electric-only natural gas fuel cells, the PUC  
            reports that average cost has remained at an average of  
            $11/watt since 2004, and actually increased to $12/watt in  
            2011 and 2012, which suggests that SGIP has not contributed to  
            cost reductions:

           1)Additional objectives  .
             
                  Reduce ratepayer costs:

            Although it is not among the four goals outlined by the PUC,  
            reducing ratepayer costs is in fact an explicit objective in  
            the statute [Section 379.6(a)(1) of the Public Utilities  
            Code].  It seems self-evident that the program has not  
            decreased ratepayer costs.

            Information provided in the SGIP evaluation report indicates  
            that projects are located where vendors and customers want  








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            them, which is not necessarily where they could provide  
            ratepayer benefits, i.e., where there is high peak demand  
            coincident with the project's ability to reduce the sites need  
            for electricity from the grid, relieve transmission  
            congestion, or other ratepayer benefits.

            According to information provided by the PUC, SGIP projects  
            are not required to schedule their operations.  This means  
            that for purposes of reliability or grid management, grid  
            operators don't know whether the customer's load will be  
            relying on the SGIP project or the grid.  This means that  
            ratepayers must pay for reserves to be available in the event  
            that unscheduled demand occurs.

                 Improve air quality:
             
             Like GHGs, criteria pollutant emission performance appears  
            inconsistent and current data is not readily available.   
            According to a 2008 California Energy Commission report,  
            "(SGIP) installations have net emissions of air quality  
            pollutants including (volatile organic compounds), (oxides of  
            nitrogen/NOx) and (carbon monoxide)."

            The report showed small increases in emissions for  
            non-renewable micro-turbines and gas turbines, and significant  
            increases in emissions for internal combustion engines.  The  
            combined increases in GHG emissions attributable to  
            non-renewable combustion cogeneration projects offset all of  
            the GHG benefits achieved by PV funded by SGIP prior to the  
            CSI.  In contrast, projects using renewable fuels, including  
            combustion, showed emissions benefits across the board.

            In general, new DG turbines appear somewhat less efficient  
            than recently-built central-station power plants in terms of  
            direct electrical efficiency.  However, DG in CHP  
            installations, where waste heat is recovered and put to use in  
            a way that saves natural gas, overall efficiency improves  
            significantly.  Actual efficiency varies widely by system.   
            The best systems can achieve efficiencies between 80 and 90  
            percent.  Minimum efficiency required for SGIP eligibility is  
            60 percent [total energy output (electricity plus heat)  
            divided by fuel input].

            The NOx emission limit in the statute (0.07 lbs/MWhr)  
            approaches NOx emission levels achieved by new central-station  








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            power plants, although the central-station plants also must  
            obtain offsets from other stationary sources to mitigate the  
            NOx they do emit.  However, this 0.07 NOx limit is based on  
            emission standards adopted by ARB more than 10 years ago and  
            the limit was placed in the SGIP statute in 2003 as an  
            incentive for early compliance with the ARB standards.  More  
            than 10 years later, ARB's 2007 limit is now in effect, so  
            this provision reflects the standard for DG subject to ARB  
            certification, rather than a step forward.

           1)GHG factor that determines SGIP eligibility is outdated  .   
            Pursuant to SB 412, SGIP eligibility is limited to DER that  
            the PUC, in consultation with ARB, determines will reduce GHG  
            emissions.  In its 2011 decision implementing SB 412, the PUC  
            used an estimate for avoided grid emissions to determine  
            eligibility.  Essentially, the PUC used a figure from ARB for  
            average statewide emissions for existing natural gas power  
            plants, deducted 20 percent to account for the RPS (which has  
            since been increased to 33 percent), and added 7.8 percent to  
            adjust for avoided line losses.  
             
            The data and assumptions that the PUC used were outdated in  
            2011 and they are growing more and more outdated every day.   
            The natural gas plant data that the PUC used is now over 10  
            years old and more recent data is readily available from ARB  
            and U.S. EPA.  In addition, using a statewide average doesn't  
            provide an accurate baseline because SGIP is not available in  
            many areas of the state served by publicly-owned utilities and  
            GHG emissions vary between utilities.  Finally, GHG emissions  
            from the grid will continue to decline over the useful life of  
            SGIP projects as the natural gas fleet becomes more efficient  
            and renewable energy increases to meet the 33 percent RPS and  
            beyond.  The result is that SGIP is funding projects now and,  
            if not corrected as part of an extension of the program, will  
            fund projects in the future that do not meet the statutory  
            requirement to reduce GHG emissions.

            To address the need to update SGIP's GHG factor,  the author  
            and the committee may wish to consider  amending the bill to  
            require the PUC, on or before July 1, 2015, to update the  
            factor for avoided GHG emissions based on the most recent data  
            available to ARB for emissions from electricity sales in the  
            program administrators' service areas, as well as current  
            estimates of GHG emissions over the useful life of the DER,  
            including consideration of the effects of the RPS.  








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           2)Considering amount and cost of GHG emission reductions would  
            improve value of SGIP expenditures  .  When SGIP funds very  
            expensive technologies with minimal or no GHG benefits, the  
            result is extremely small and high-cost GHG reductions, as  
            evidenced by the data provided by SGIP evaluator Itron and  
            summarized in Comment 4 above.  Though these technologies may  
            meet other SGIP objectives that justify their eligibility,  
            spending the majority of SGIP funds on technologies that  
            deliver minimal benefits at high cost is not a good value for  
            ratepayers when other DER technologies may deliver greater  
            benefits.  To enable the PUC to address this going forward,  
            the author and the committee may wish to consider  amending the  
            bill to require the PUC to consider relative amount and cost  
            of GHG emission reductions when allocating program funds  
            between eligible technologies.

           3)Greater data transparency would improve evaluation of SGIP  
            emissions performance  .  The lack of publicly-available in-use  
            data on SGIP-funded projects makes determining their actual  
            reliability and emissions performance difficult.  Since  
            emissions performance is a critical components of eligibility  
            and measuring the program's objectives, as well as explicit in  
            the "performance measures" added by this bill,  the author and  
            the committee may wish to consider  requiring recipients of  
            incentive funds to provide data to the PUC and ARB upon  
            request, and be subject to on-site inspection to verify  
            equipment operations and performance, including capacity,  
            thermal output, and usage, in order to verify criteria  
            pollutant and GHG emissions performance.

           4)California supplier bonus may be missing the mark  .  In 2008,  
            AB 2267 (Fuentes) added the "California supplier" provision to  
                            the SGIP statute, requiring SGIP to provide a 20 percent bonus  
            on top of approved incentives to "California suppliers," as  
            defined.  According to the PUC, since AB 2267 was enacted,  
            SGIP has provided $52 million to 14 companies registered as  
            "California suppliers."  Bloom Energy has received nearly $39  
            million, or approximately 75 percent of the funds.  
                 
             It's worth noting that the "California supplier" provision  
            does not clearly require the actual products receiving SGIP  
            funds to be manufactured in California, and the PUC and  
            program administrators don't check.  So the provision appears  
            to support the perverse result that a company based in  








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            California can collect a bonus for expanding its manufacturing  
            out of state, while a company based outside California that  
            would like to manufacture in California must wait for five  
            years before it's eligible for the bonus.

            To address this,  the author and the committee may wish to  
            consider  amending the bill to require eligible products to be  
            manufactured in California to receive the "California  
            supplier" bonus and eliminating the five-year waiting period  
            as a barrier to potential new manufacturers.
           
          5)Related legislation  .  AB 1624 (Gordon), pending in this  
            committee, extends SGIP funding authorization for seven years,  
            requiring the PUC to allocate up to $83 million per year  
            through 2021 from utility allowance revenues, and requiring  
            the PUC to reduce annual funding by 10 percent in each of the  
            last four years (2018-2021), for a total authorization up to  
            $506 million.  

          6)Author's amendments  .  The author proposes to add the following  
            provisions, which are similar to provisions added to AB 1624  
            on April 21:  

                   a)        Clarify that eligible DER technologies must:   
                    be capable of reducing demand from the grid by  
                    offsetting onsite energy load, including peak demand;  
                    be commercially available; safely utilizes the  
                    existing transmission and distribution system; reduce  
                    GHG emissions, and; improve air quality by reducing  
                    criteria air pollutants.  

                   b)        Require the PUC to determine a capacity factor  
                    for DG and energy storage systems.  
                
                  c)        Requires the PUC to evaluate SGIP based on  
                    specified performance measures:  GHG emission  
                    reductions; criteria pollutant emission reductions  
                    measured in terms of avoided emissions and emissions  
                    credits secured for project approval; energy  
                    reductions measured in energy value; reductions of  
                    aggregate non-coincident customer peak demand;  
                    capacity factor; value of avoided transmission and  
                    distribution costs, and; ability to improve onsite  
                    electricity reliability as compared to onsite  
                    electricity reliability before the SGIP technology was  








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                    placed in service.  
                
                  d)        Require the PUC to evaluate both of the  
                    following:  
                
                        i.             The program's progress toward  
                         reducing barriers to the adoption of DER,  
                         including, but not limited to, interconnection  
                         costs and the length of time to complete  
                         interconnection.  
                
                        ii.            The program's effectiveness in  
                         providing frequency regulation, voltage support,  
                         demand reduction, peak shaving, ramp rate  
                         control, and other wholesale ancillary and grid  
                         reliability services.  

          REGISTERED SUPPORT / OPPOSITION  :   

           Support 
           
          AT&T
          Advanced Energy Economy
          American Vanadium
          Association of California Water Agencies
          Bergey Wind Power
          Bioenergy Association of California
          Bloom Energy
          California Association of Sanitation Agencies
          California Energy Storage Alliance
          California Manufacturers & Technology Association
          California State University
          Capstone Turbine Corporation
          ClearEdge Power
          CODA Energy
          Direct Access Customer Coalition
          EDF Renewable Development,
          EnerVault
          Environmental Defense Fund
          EtaGen
          EV Grid
          Facebook
          Fuel Cell and Hydrogen Energy Association
          Fuel Cell Energy
          Green Charge Networks








                                                                  AB 1499
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          Inland Empire Utilities Agency
          LightSail Energy
          OutBack Power Technologies
          Parker Hannifin Corporation Global Energy Grid Tie Division
          Powertree Services
          Primus Power
          Providence Health & Services
          Rosendin Electric
          SEEO
          Sierra Club California
          SolarCity
          Solar Energy Industries Association
          Stem
          TechNet
          West County Wastewater District
          Yahoo!

           Opposition 
           
          The Utility Reform Network (TURN)

           
          Analysis Prepared by  :    Lawrence Lingbloom / NAT. RES. / (916)  
          319-2092