RM12-1 & 13-9 Final Rule OMB Supporting Statement

RM12-1 & 13-9 Final Rule OMB Supporting Statement.docx

FERC-725N, (Final Rule in RM12-1 & RM13-9) Mandatory Reliability Standards: Reliability Standard TPL-001-4

OMB: 1902-0264

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FERC-725N (OMB Control No.: 1902-0264)

Docket Nos. RM12-1-000 & RM13-9-000, Final Rule issued Oct 17, 2013

RIN: 1902-AE68


Supporting Statement

FERC-725N, Mandatory Reliability Standards: Reliability Standard TPL-001-4

Final Rule in RM12-1-000 & RM13-9-000

Transmission Planning Reliability Standards”

Reliability Standard TPL-001-4


In Dockets RM12-1 and RM13-9 in the final rule, the Federal Energy Regulatory Commission (Commission or FERC) approves Reliability Standard TPL-001-4. The new consolidated Reliability Standard TPL-001-4 does not impose entirely new burden. Much of the work had to be done under prior Reliability Standards TPL-001-0 through TPL-004-0. The net average annual burden change due to this final rule is 15,471 hours.


The underlying information collection requirements in the Reliability Standards (TPL-001-0 through TPL-004-0) are approved by OMB under FERC-725A (OMB Control No.1902-0244).


As we did at the proposed rule stage, we are submitting this final rule under a new collection number and control number because of other rulemakings also affecting the FERC-725A collection. This new collection (FERC-725N) will only contain the information collection requirements that are part of the final rule in RM12-1 and RM13-9.


On February 28, 2013, NERC submitted proposed Reliability Standard TPL-001-4 (Version 4) in response to the Commission’s remand in Order No. 7621 and concerns identified in the Commission’s NOPR issued in Docket No. RM12-1-000.2 NERC states that modified footnote 12 provides specific parameters for the permissible use of planned non-consequential load loss to address bulk electric system performance issues, including: (1) firm limitations on the maximum amount of load that an entity may plan to shed, (2) safeguards to ensure against inconsistent results and arbitrary determinations that allow for the planned non-consequential load loss, and (3) a more specifically defined, open and transparent, verifiable, and enforceable stakeholder process.


  1. CIRCUMSTANCES THAT MAKE THE COLLECTION OF INFORMATION NECESSARY


On August 8, 2005, The Electricity Modernization Act of 2005, which is Title XII of the Energy Policy Act of 2005 (EPAct 2005), was enacted into law.3 EPAct 2005 added a new section 215 to the Federal Power Act (FPA), which requires a Commission-certified Electric Reliability Organization (ERO) to develop mandatory and enforceable Reliability Standards, which are subject to Commission review and approval. Once approved, the Reliability Standards may be enforced by the ERO, subject to Commission oversight.


On March 16, 2007, in Order No. 693, pursuant to section 215(d) of the FPA, the Commission approved 83 of 107 proposed Reliability Standards, six of the eight proposed regional differences, and the North American Electric Reliability Corporation (NERC) Glossary of Terms Used in Reliability Standards (NERC Glossary), including Version 0 TPL Reliability Standards.4 Further, pursuant to FPA section 215(d)(5), the Commission directed NERC to develop modifications to TPL-001-0 through TPL-004-0 through the Reliability Standards development process. In Order No. 693 the Commission indicated that the planning-related Reliability Standard could be improved to better account for probable contingencies when conducting planning studies. Further in that Order, FERC said that much of its proposal was consistent with the potential improvements NERC had already recognized.5


  1. HOW, BY WHOM, AND FOR WHAT PURPOSE THE INFORMATION IS TO BE USED AND THE CONSEQUENCES OF NOT COLLECTING THE INFORMATION


The new Reliability Standard TPL-001-4 implements the Congressional mandate of the Energy Policy Act of 2005 to develop mandatory and enforceable Reliability Standards to better ensure the reliability of the nation’s Bulk-Power System. Specifically, the standard ensures that planning coordinators and transmission planners establish transmission system planning performance requirements within the planning horizon to develop a bulk electric system that will operate reliably and meet specified performance requirements over a broad spectrum of system conditions to meet present and future system needs.


The Commission estimates that the new Reliability Standard TPL-001-4 affects 183 transmission planners and planning coordinators. Consistent with the standard’s purpose, the standard requires entities to:


  • Identify joint responsibilities and system modeling enhancements

  • Perform new assessments, simulations, studies, and modeling enhancements, along with the associated documentation

  • Follow a stakeholder process


The information generated relates to assessments, simulations, studies, enhancements and working with stakeholders. This information is an integral part of transmission planning. The transmission planners and planning coordinators need the generated information in order to know if they will have enough transmission capacity to support load.


The transmission planners and planning coordinators also use the information to show auditors that they are complying with the Reliability Standard requirements. Generally, entities are scheduled for compliance audits every three years.


If this standard and the associated information collection requirements did not exist there would be a reliability gap in the transmission planning, leading the system to potentially operate in a more unreliable condition than otherwise.


  1. DESCRIBE ANY CONSIDERATION OF THE USE OF IMPROVED INFORMATION TECHNOLOGY TO REDUCE THE BURDEN AND TECHNICAL OR LEGAL OBSTACLES TO REDUCING BURDEN


The use of current or improved technology is not covered in Reliability Standards, and is therefore left to the discretion of each reporting entity.


  1. DESCRIBE EFFORTS TO IDENTIFY DUPLICATION AND SHOW SPECIFICALLY WHY ANY SIMILAR INFORMATION ALREADY AVAILABLE CANNOT BE USED OR MODIFIED FOR USE FOR THE PURPOSE(S) DESCRIBED IN INSTRUCTION NO. 2


The information collection requirements are unique to this reliability standard and to this information collection. The Commission does not know of any duplication in the requirements.


  1. METHODS USED TO MINIMIZE THE BURDEN IN COLLECTION OF INFORMATION INVOLVING SMALL ENTITIES


Small entities may see a small increase in burden due to the revised requirements in the proposed Reliability Standard.


In general, small entities may reduce their burden by taking part in a joint registration organization or a coordinated functional registration. These options allow an entity to share its compliance burden with other entities.


  1. CONSEQUENCE TO FEDERAL PROGRAM IF COLLECTION WERE CONDUCTED LESS FREQUENTLY


If this standard and the associated information collection requirements did not exist or were performed less frequently, the reduction or elimination of transmission system planning would likely lead to lower system reliability, such as frequent transmission system outages and loss of load.


  1. EXPLAIN ANY SPECIAL CIRCUMSTANCES RELATING TO THE INFORMATION COLLECTION


There are some special circumstances as described in 5 CFR 1320.5(d)(2) related to this information collection.


Depending on the timing and details of a particular audit or investigation, some entities may have to retain information for longer than three years. Generally, entities are scheduled for compliance audits every three years, and therefore retain documentation for three years. However, the time since the last audit may exceed three years, in which case the entity would retain the documentation necessary to show compliance with the standards since the last audit.


For example, in the revised Reliability Standard TPL-001-4, the Transmission Planner and Planning Coordinator shall each retain data or evidence to show compliance as identified unless directed by its Compliance Enforcement Authority to retain specific evidence for a longer period of time as part of an investigation. The items may include:


  • The Planning Assessments performed since the last compliance audit in accordance with Requirement R2 and Measure M2. The studies performed in support of its Planning Assessments since the last compliance audit in accordance with Requirement R3 and Measure M3.

  • The studies performed in support of its Planning Assessments since the last compliance audit in accordance with Requirement R4 and Measure M4.


The Planning Coordinator shall retain data or evidence to show compliance as identified below unless directed by its Compliance Enforcement Authority to retain specific evidence for a longer period of time as part of an investigation:


  • Three calendar years of the notifications employed in accordance with Requirement R8 and Measure M8.


If a Transmission Planner or Planning Coordinator is found non-compliant, it shall keep information related to the non-compliance until found compliant or the time periods specified above, whichever is longer.6


These special circumstances are necessary for reliability purposes.


  1. DESCRIBE EFFORTS TO CONSULT OUTSIDE THE AGENCY: SUMMARIZE PUBLIC COMMENTS AND THE AGENCY’S RESPONSE


The ERO process to establish Reliability Standards is a collaborative process with the ERO, Regional Entities and other stakeholders developing and reviewing drafts, and providing comments, with the final proposed standard submitted to the FERC for review and approval.7 In addition, each FERC rulemaking (both proposed and final rules) is published in the Federal Register, thereby providing public utilities and licensees, state commissions, Federal agencies, and other interested parties an opportunity to submit data, views, comments or suggestions concerning the proposed collection of data. The proposed rule was published in the Federal Register on May 23, 2013 (78 FR 30804).


The Commission addresses all comments it received in response to the NOPR in the Final Rule (attached to this information collection request package). No one commented specifically on the burden estimates. One commenter did raise a concern regarding administrative burden and we provide a discussion of that comment here.


Comment

Midcontinent Independent System Operator Inc. (MISO) supports Reliability Standard TPL-001-4 as an improvement over the current standard but has a paperwork burden type of concern regarding Attachment 1, referenced in footnote 12. MISO argues that the Commission should direct NERC to eliminate or clarify the requirement that requires interaction with and approval by applicable regulatory authorities or government bodies responsible for retail electric service.


MISO claims that such a requirement adds an additional layer of complexity and administrative burden to compliance of proposed Reliability Standard TPL-001-4 without any attendant benefit. According to MISO, the reference in Attachment 1 to “applicable regulatory authorities or governing bodies” is not clear. MISO states that, while these terms could encompass a state’s public service commission or public utility commission, the terms could also potentially include other state bodies or agencies such as consumer advocacy and protection bodies, state legislatures, and city or municipal bodies. According to MISO, if these other entities would be considered “governing bodies responsible for retail electric issues,” a transmission planner would need to seek and receive assurances from each of these bodies. MISO also suggests that, prior to finalization of its transmission expansion plan each year, a planner could obtain the assent of the applicable public utility commission, and yet have its transmission plans subsequently upended because it did not obtain additional assent from a different state agency that has some involvement in retail electric matters.


Commission Response

We disagree with MISO that Attachment 1 to footnote 12 adds an additional layer of complexity and administrative burden to compliance without any attendant benefit. Commenters have stated in prior proceedings that a blend of quantitative and qualitative parameters “should not overly burden NERC or Regional Entity resources as utilization of the planned load shed exception is – and would be – rarely utilized.”8 Further, the Commission directs NERC to report on the use of footnote 12 including the use and effectiveness of the local regulatory review and NERC review. This report is important because it will provide an analysis of the use of footnote 12, including but not limited to information on the duration, frequency and magnitude of planned non-consequential load loss, and typical (and if significant, atypical) scenarios where entities plan for non-consequential load loss. Further, the report will serve as a tool to evaluate the usefulness and effectiveness of local regulatory and ERO review, and identify whether MISO’s concern or other issues arise that need to be addressed.


We decline to direct NERC to limit the meaning of the phrase “applicable regulatory authorities or governing bodies.” Because each state and locality has different entities that are responsible for reliability of retail electric service, we are reluctant to further define who may participate. NERC’s report should identify any issues with respect to how effective and efficient the review process is working. With regard to MISO’s request that input by the affected regulatory body is sufficient to satisfy the language in the Attachment 1 stakeholder process indicating that the agency “does not object” to the inclusion of non-consequential load loss, we note that during the standard development process NERC “modified the footnote to require regulatory authority review rather than approval.”9 Use of an open stakeholder process that allows for robust input and review will ensure that all interested state agencies will have a say in the process, and that any objections of such agencies to the inclusion of non-consequential load loss will be considered in the relevant planning decisions.


  1. EXPLAIN ANY PAYMENT OR GIFTS TO RESPONDENTS


The Commission does not make payments or provide gifts for respondents related to this collection.


  1. DESCRIBE ANY ASSURANCE OF CONFIDENTIALITY PROVIDED TO RESPONDENTS


There are no specific assurances of confidentiality mentioned to respondents.


  1. PROVIDE ADDITIONAL JUSTIFICATION FOR ANY QUESTIONS OF A SENSITIVE NATURE


This collection does not include any questions of a sensitive nature.


  1. ESTIMATED BURDEN OF COLLECTION OF INFORMATION


The Commission approves Reliability Standard TPL-001-4 and the retirement of four currently-effective TPL Reliability Standards, TPL-001 through TPL-004. In Order No. 693, the Commission directed NERC to develop modifications to TPL-001-0 through TPL-004-0 through NERC’s Reliability Standards development process. Rather than creating entirely new TPL requirements, the revised Reliability Standard TPL-001-4 consolidates and improves the overall quality of the currently-effective TPL Reliability Standards governing transmission system planning of the bulk electric system. Thus, this final rule does not impose entirely new burdens on the effected entities. For example, the currently-effective and revised TPL Reliability Standards both require that transmission planners and planning coordinators prepare annual planning assessments for near-term and long-term planning horizons and evaluate system performance for various categories of contingencies ranging from normal operations through extreme events.


The revised Reliability Standard TPL-001-4 includes several new obligations for transmission planners and planning coordinators. For example, they must identify joint responsibilities and conduct system modeling enhancements as required by Reliability Standard TPL-001-4, Requirements R1 and R7. Reliability Standard TPL-001-4 also includes the footnote 12 stakeholder process. Based on the results of NERC’s data request (NERC Petition, Exhibit F), there have been approximately 80 instances of planned non-consequential load loss under the currently-effective TPL Reliability Standards. The vast majority of these indicate a plan to mitigate the planned non-consequential load loss within a 5 year period, and approximately 75 percent of the approximately 80 instances have planned non-consequential load loss less than 25 MW. The Commission does not expect the instances of planned non-consequential load loss to materially change from the existing number. Therefore, the Commission estimates 16 annual uses (80 instances divided by a 5 year period) of Attachment 1, with 12 of those instances (approximately 75 percent of the estimated annual total) using sections I and II of Attachment 1, and 4 instances using sections I, II and III of Attachment 1 of Reliability Standard TPL-001-4.


The burden and cost estimates below are based on new reporting and recordkeeping burden imposed by the Reliability Standard. Our estimates are based on the NERC Compliance Registry as of February 28, 2013, which indicates that NERC has registered 183 transmission planners and planning coordinators.

Improved Requirement10

Year

Number and Type of Entity11

(1)

Number of Annual Responses Per Entity

(2)

Average

Number of Paperwork Hours per Response

(3)

Total Burden Hours

(1)*(2)*(3)

Identification of Joint Responsibilities and System Modeling Enhancements12

Year 1

183 Transmission Planners and Planning Coordinators

1 response

9 (5 engineer hours and 4 record keeping hours)

1,647

Year 2 and Year 3

183 Transmission Planners and Planning Coordinators

1 response

5 (3 engineer hours and 2 record keeping hours)

915

New Assessments, Simulations, Studies, Modeling Enhancements and associated Documentation13

Year 2

183 Transmission Planners and Planning Coordinators

1 response

145 (84 engineer hours, 61 record keeping hours)

26,535

Year 3

183 Transmission Planners and Planning Coordinators

1 response

84 (45 engineer hours, 39 record keeping hours)

15,372

Attachment 1 stakeholder process

Year 3

1 Transmission Planner and Planning Coordinator14

12 responses to Attachment 1, sections I and II

63 (40 engineer hours, 17 record keeping hours, 6 legal hours)

756

Year 3

1 Transmission Planner and Planning Coordinator15

4 responses to Attachment 1, Sections I, II, and III

68 (40 engineer hours, 20 record keeping hours, 8 legal hours)

272

Total Year 1





1,647

Total Year 2





27,450

Total Year 3





17,315

Average Annual Total over Years 1-3





15,471


FERC intends to remove the one-time burden hours after three years.


Costs to Comply with Paperwork Requirements:


Year 1 costs include the implementation of those improved requirements that become effective on the first day of the first calendar quarter, 12 months after applicable regulatory approval, which include requirements such as coordination between entities and incremental system modeling enhancements. Year 2 costs include a portion of year 1 reoccurring costs plus the implementation of the remaining improved requirements that become effective on the first day of the first calendar quarter, 24 months after applicable regulatory approval, which include requirements such as sensitivity studies for steady state and stability analysis, implementation of a spare equipment strategy, short circuit studies, an expansion of contingencies and extreme events, and all associated system modeling enhancements and documentation. Year 3 costs include a portion of year 2 reoccurring costs plus an estimated cost for Attachment 1 stakeholder process, if needed.


For the burden categories above, the loaded (salary plus benefits) costs are: $60/hour for an engineer; $31/hour for recordkeeping; and $128/hour for legal.16 The estimated breakdown of annual cost is as follows:


  • Year 1: $77,592

    • Identification of Joint Responsibilities and System Modeling Enhancements: 183 entities * [(5 hours/response * $60/hour) + (4 hours/response * $31/hour)] = $77,592.

  • Year 2: $1,312,659

    • Identification of Joint Responsibilities and System Modeling Enhancements: 183 entities * [(3 hours/response * $60/hour) + (2 hours/response * $31/hour)] = $44,286.

    • New Assessments, Simulations, Studies, Modeling Enhancements and associated Documentation: 183 entities * [(84 hours/response * $60/hour) + (61 hours/response * $31/hour)] = $1,268,373.

  • Year 3: $820,149

    • Identification of Joint Responsibilities and System Modeling Enhancements: 183 entities * [(3 hours/response * $60/hour) + (2 hours/response * $31/hour)] = $44,286.

    • New Assessments, Simulations, Studies, Modeling Enhancements and associated Documentation: 183 entities * [(45 hours/response * $60/hour) + (39 hours/response * $31/hour)] = $715,347.

    • Implementation of footnote 12 and the stakeholder process: {12 responses * [(40 hours/response * $60/hour) + (17 hours/response * $31/hour) + (6 hours/response * $128/hour)]} + {4 responses * [(40 hours/response * $60/hr) + (20 hours/response * $31/hour) + (8 hours/response * $128/hour)]} = $60,516.



  1. ESTIMATE OF THE TOTAL ANNUAL COST BURDEN TO RESPONDENTS


There is no start-up or other non-labor hour cost associated with this final rule. We assume that the information collection requirements associated with this final rule can be completed by entities using existing hardware and software.


  1. ESTIMATED ANNUALIZED COST TO FEDERAL GOVERNMENT


The Regional Entities and NERC do most of the data processing, monitoring and compliance work for Reliability Standards. Any involvement by the Commission is covered under the FERC-725 collection (1902-0225) and is not part of this request or package.


The Commission does incur the costs associated with obtaining OMB clearance under the Paperwork Reduction Act for this collection. FERC estimates $2,250 as the annual cost for this effort.17


  1. REASONS FOR CHANGES IN BURDEN INCLUDING THE NEED FOR ANY INCREASE


The change in burden is the result of the consolidated TPL-001 Reliability Standard. If this standard and the associated information collection requirements did not exist, there would be a reliability gap in the transmission planning, leading the system to potentially operate in a more unreliable condition.


The following table shows burden inventory for the new FERC-725N because of the final rule.


FERC-725N

Total Request

Previously Approved

Change due to Adjustment in Estimate

Change Due to Agency Discretion

Annual Number of Responses

183

-

-

183

Annual Time Burden (Hr)

15,471

-

-

15,471

Annual Cost Burden ($)

-

-

-

-



  1. TIME SCHEDULE FOR PUBLICATION OF DATA


There are no data publications as part of this collection


  1. DISPLAY OF EXPIRATION DATE


It is not appropriate to display the expiration date because the information is not collected on a preformatted form or in any format that would allow for such a display.


  1. EXCEPTIONS TO THE CERTIFICATION STATEMENT


The Commission does not use statistical methods for this collection. Therefore the Commission does not certify that the collection uses statistical methods.



1 Order 762 was issued 4/19/2012 in Docket RM11-18 and is available at http://elibrary.ferc.gov/idmws/common/opennat.asp?fileID=12953208.

2 The original NOPR issued on 4/19/2012 in Docket RM12-1 is posted at http://elibrary.ferc.gov/idmws/common/opennat.asp?fileID=12953218 .

Reliability Standard TPL-001-4 is not attached to the final rule, issued 10/17/2013, but is available in Supplementary Documents in ROCIS and at http://elibrary.ferc.gov/idmws/common/opennat.asp?fileID=13260175. The complete text of Reliability Standard TPL-001-4 is available on the Commission’s eLibrary document retrieval system in Docket No. RM13-9-000 and is posted on the ERO’s web site, available at: http://www.nerc.com.

3 The Energy Policy Act of 2005, Pub. L. No 109-58, Title XII, Subtitle A, 119 Stat. 594, 941 (2005), codified at 16 U.S.C. 824o (2000).

4 Mandatory Reliability Standards for the Bulk-Power System, Order No. 693, FERC Stats. & Regs. ¶ 31,242 at PP 1840, 1845, order on reh’g, Order No. 693-A, 120 FERC ¶ 61,053 (2007). The currently-effective versions of the TPL Reliability Standards are as follows: TPL-001-0.1, TPL-002-0b, TPL-003-0a, and TPL-004-0.

5 Id. at P 431

6 For a full list of the data retention requirements see Page 17 of the TPL-001-4 Reliability Standard.

7 Details of the current ERO Reliability Standard processes are available on the NERC website at http://www.nerc.com

8 Order No. 762, 139 FERC ¶ 61,060 at P 55.

9 NERC’s Petition, Exhibit H, Consideration of Comments, period from July 31, 2012 through August 29, 2012 at 73.

10 Each requirement identifies a reliability improvement by Reliability Standard TPL-001-4.

11 NERC registered transmission planners and planning coordinators responsible for the improved requirement. Further, if a single entity is registered as both a transmission planner and planning coordinator, that entity is counted as one unique entity.

12 The Commission estimates a reduction in burden hours from year 1 to year 2 because year 1 represents a portion of one-time tasks not repeated in subsequent years.

13 The Commission estimates a reduction in burden hours from year 2 to year 3 because year 2 represents a portion of one-time tasks not repeated in subsequent years.

14 The Commission does not know how many respondents will utilize this process. We do estimate that the process will be used 12 times over the course of the year. For this reason we left the number of respondents at “1”.

15 The Commission does not know how many respondents will utilize this process. We do estimate that the process will be used 12 times over the course of the year. For this reason we left the number of respondents at “1”.

16 Labor rates from Bureau of Labor Statistics (BLS) (http://bls.gov/oes/current/naics2_22.htm). Loaded costs are BLS rates divided by 0.703 (in order to include benefits) and rounded to the nearest dollar (http://www.bls.gov/news.release/ecec.nr0.htm).


17 This is based on an estimate of work done by the Information Clearance team and other FERC staff as well as a small non-labor cost related to publishing material in the Federal Register.

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