CUI//CEII/INV/PRIV
Supporting Statement for
FERC-921, Ongoing Electronic Delivery of Data from Regional Transmission Organizations (RTO) and Independent System Operators (ISO)
The Federal Energy Regulatory Commission (Commission or FERC) requests that the Office of Management and Budget (OMB) review and approve the information collection requirements in the FERC-921, Ongoing Electronic Delivery of Data from Regional Transmission Organizations (RTOs) and Independent System Operators (ISOs) for a three- year period. FERC-921 (OMB Control No. 1902-0257) is an existing Commission data collection. There are program changes to improve the accuracy of this information collection request.
CIRCUMSTANCES THAT MAKE THE COLLECTION OF INFORMATION NECESSARY
The collection of data in FERC-921 is an effort by the Commission, implemented under Order No. 760,1 to detect potential anti-competitive or manipulative behavior or ineffective market rules. In Order No. 760, the Commission issued 18 CFR 35.28(g)(4), which requires ongoing electronic delivery of data by each Commission-approved RTO and ISO.
This collection of information involves requirements in the Federal Power Act (FPA) that the Commission ensure: (1) sales of electricity in wholesale markets are made at just and reasonable rates2 and (2) no market manipulation in connection with the purchase or sale of electricity subject to the Commission’s jurisdiction.3 Section 301(b) of the FPA assists the Commission’s compliance with these statutory obligations by requiring that the Commission, at all times, have access to and the right to inspect and examine all accounts and records of public utilities.4 In this information collection, and pursuant to its authority under section 301(b), the Commission requires ongoing electronic delivery of data including accounts and records of the RTOs/ISOs, which are public utilities.
Moreover, the Commission has authority pursuant to section 307(a) of the FPA to investigate any facts, conditions, practices, or matters it may deem necessary or proper to determine whether any person, electric utility, transmitting utility, or other entity may have violated or might violate the FPA or the Commission’s regulations, or to aid in the enforcement of the FPA or the Commission regulations, or to obtain information about wholesale power sales or the transmission of power in interstate commerce.5
Ongoing electronic delivery of the information is necessary for the Commission to understand and respond quickly to a range of rapidly evolving market activities, and it gives the Commission a means of determining on a timely basis whether rates are just and reasonable.
HOW, BY WHOM, AND FOR WHAT PURPOSE THE INFORMATION IS TO BE USED AND THE CONSEQUENCES OF NOT COLLECTING THE INFORMATION
The information is used by FERC staff for several different purposes including the surveillance of electricity markets and for assessing, analyzing, and improving the efficiency and effectiveness of FERC policies and regulations.
Surveillance of Electricity Markets - To enhance FERC’s market monitoring and surveillance efforts, FERC has been requiring ongoing, electronic delivery of data from each RTO and ISO. These data enable FERC to detect anti-competitive behavior, manipulative behavior, and ineffective market rules. This information is therefore key to determining whether rates are just and reasonable.
FERC is using these data extensively for analyses designed to detect attempts to manipulate RTO/ISO pricing and to detect market abuses. For example, staff runs screens that identify patterns at the hourly level by monitoring the interactions between physical and virtual bidding strategies and potentially benefiting payouts. Staff has also developed and deployed analytic tools and screens for: (1) analyzing physical offer behavior in day ahead and real time auctions (2) detecting day ahead market congestion manipulation that would benefit financial transmission rights and swap-futures positions; (3) identifying anomalies in physical offer patterns; and (4) identifying abnormal out-of-market payments.
FERC Policies and Regulations - In overseeing wholesale electricity markets, the Commission routinely evaluates existing market designs and the effectiveness of market rules. The Commission uses the information submitted under this collection to effectively carry out these functions. Further, this information enables the Commission to identify ineffective market rules and is crucial for informing Commission policies and decision-making. This information is therefore key to FERC’s ability to carry out its mission of ensuring just and reasonable rates.
For example, the Commission has used this information to analyze the interactions of a range of market operations, business practices, and generation-unit-specific decisions on wholesale electricity prices. Additionally, the information has been used to better understand market activity, particularly what has changed in markets following FERC orders.
Consequence of not collecting the information - The information collected by FERC-921 is essential in carrying out (1) surveillance of electricity markets and (2) the evaluation of existing market designs and effectiveness of market rules approved by the Commission. Without the routine collection of this information, monitoring adherence to market rules and enhancing Commission policies would rely on more general, less reliable data. Reliance on more general data would, in turn, require much more frequent bespoke ad hoc data requests which would likely impose greater burden than this largely automated program.
DESCRIBE ANY CONSIDERATION FOR THE USE OF IMPROVED INFORMATION TECHNOLOGY TO REDUCE BURDEN AND TECHNICAL OR LEGAL OBSTACLES TO REDUCING BURDEN
This information collection and means of delivery are, themselves, a result of the consideration of the use of improved information technology to reduce burden. The datasets from this collection have substantially reduced the frequency of ad hoc data requests of the RTO and ISOs under FERC’s authority. Each ad hoc data request required substantial effort by the RTO staff to produce bespoke responses. This collection, therefore, enables the routine mechanical delivery of RTO and ISO data, significantly lessening RTO and ISO burden while ensuring that FERC has the information it needs to review, analyze and monitor its jurisdictional market.
In defining the data collection, FERC allowed each RTO and ISO to deliver its data in a form consistent with its own systems. This has eliminated the need for the submitters to adjust or translate their data to standardize it for submission. Commission staff coordinate with each market when changes are made to its own systems to ensure accurate data transfer.
Commission staff are in consistent communication with the RTOs and ISOs. If there is a potential technological improvement identified, FERC staff collaborate with the RTOs and ISOs to ensure that each group make all necessary modifications or improvements to enhance FERC-921 reporting and reduce burden.
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 Commission’s Order creating this collection specifically excludes public information that can be (and often is) collected by the Commission through other means, such as in Electric Quarterly Reports (EQRs).6 Data submitted to FERC under FERC-921 are non-public data from the RTOs and ISOs relating to market participants’ jurisdictional service in the RTO and ISO markets, which are more granular and diverse than data submitted in EQRs.7 These non-public data collected by FERC-921 include proprietary market-sensitive information that is not available in publicly posted data or public information provided by the RTOs and ISOs. Further, by allowing the respondents discretion over how the information is submitted to the Commission, by stipulating that these data be delivered in the form that the respondent keeps them, and by collecting the datasets in a manner consistent with database tables, the Commission effectively minimizes the risk that duplicative data will be submitted under this collection and the risk that these data are already available elsewhere.
METHODS USED TO MINIMIZE BURDEN IN COLLECTION OF INFORMATION INVOLVING SMALL ENTITIES
None of the six respondents subject to this information collection is a small entity. For more information on the entities, see Attachment A.
Under this collection, the respondents provide information to the Commission regarding participants in the markets they operate; some of those market participants may be small entities. By collecting data from the respondents, which are not small entities, the need for collecting similar data through ad hoc data requests from individual participants is obviated, therefore, minimizing the potential burden of collecting this information from small entities while ensuring greater data quality and consistency.
CONSEQUENCE TO FEDERAL PROGRAM IF COLLECTION WERE CONDUCTED LESS FREQUENTLY
The foundation of FERC’s efforts to detect and deter anti-competitive behavior, manipulative behavior, and ineffective market rules is the timely, ongoing electronic delivery of data. Such information includes physical and virtual offers and bids, market awards, resource outputs, marginal cost estimates, shift factors, financial transmission rights, internal bilateral contracts, uplift, and interchange pricing
Less frequent delivery may also present technological hurdles. For instance, if these data were delivered less frequently, the size of each transfer would be considerably larger and more difficult for the respondents to generate and submit to the Commission. Larger transfers would require longer transfer, management and back-up times, potentially disrupting other data procedures managed by FERC or RTOs and ISOs. Delivery at a reduced frequency would also require respondents to change their internal processes and policies.
EXPLAIN ANY SPECIAL CIRCUMSTANCES RELATING TO THE INFORMATION COLLECTION
FERC-921 has a special circumstance as defined in under 5 CFR 1320.5(d)(2)(i): Respondents must report information more often than quarterly. Each RTO and ISO has developed automated processes to generate each day's submission. Without the routine collection of this information, monitoring adherence to market rules and enhancing Commission policies would rely on more general, less reliable data. Reliance on more general data would, in turn, require much more frequent bespoke ad hoc data requests which would likely impose greater burden than this, largely automated, program.
DESCRIBE EFFORTS TO CONSULT OUTSIDE THE AGENCY: SUMMARIZE PUBLIC COMMENTS AND AGENCY'S RESPONSE TO THESE COMMENTS
In accordance with OMB requirements, the Commission invited public comments by publishing two notices in the Federal Register. Within the public notices, the Commission noted that it would be requesting a three-year extension of this collection of information.
The Commission published a 60-day notice on April 24, 2024 (89 FR 31197). The public comment period ended on June 24, 2024. The Commission received no comments in response.
The Commission published a 30-day notice on July 2, 2024 (89 FR 54814).
9. EXPLAIN ANY PAYMENT OR GIFTS TO RESPONDENTS
The Commission does not provide compensation or remuneration to entities filing the FERC-921 or others subject to its jurisdiction.
10. DESCRIBE ANY ASSURANCE OF CONFIDENTIALITY PROVIDED TO RESPONDENTS
Much of the information FERC has received and expects to receive per the requirements of FERC-921 is, by its nature, commercially sensitive. Disclosure of such information could result in competitive harm to market participants and the market as a whole. Accordingly, FERC keeps these data non-public consistent with Order No. 760.
Access to these data is limited to those within the Commission who require these data to do their jobs effectively. Staff who use these data for surveillance and investigative analysis are also required to take security training in addition to the Commission’s standard training and sign an acknowledgement of their understanding of that training.
The Commission may, of course make publicly available analyses derived from data that the Commission uses, but insofar as the law allows, the Commission will ensure that confidential information will remain non-public.8 FERC staff that utilize FERC-921 data in analysis in relation to a staff white paper or the initiation of a rulemaking proceeding, both of which are equally appropriate uses of the information collected.
Moreover, we note that entities may file requests to obtain data from FERC, although none have. Freedom of Information Act (FOIA) exemption 4,9 however, protects trade secrets and commercial or financial information from a person [that is] privileged or confidential. Although the Commission cannot foreclose requests of information related to ongoing electronic submissions of non-public data, we expect that all such data found to satisfy the requirements of exemption 4 would be protected from disclosure.
11. PROVIDE ADDITIONAL JUSTIFICATION FOR ANY QUESTIONS OF A SENSITIVE NATURE, SUCH AS SEXUAL BEHAVIOR AND ATTITUDES, RELIGIOUS BELIEFS, AND OTHER MATTERS THAT ARE COMMONLY CONSIDERED PRIVATE.
There are no questions of a sensitive nature that are considered private.
ESTIMATED BURDEN ON COLLECTION OF INFORMATION
The Commission estimates the total annual burden and cost for this information collection by calculating the total hourly cost (including both mean wages and benefits) of three occupations and then by multiplying that total hourly cost by the number of hours needed for each response.
The total hourly cost applied in this calculation is $88.03, calculated (and then rounded) as the sum of weighted mean hourly wages and benefits of the following occupations:10
Computer Systems Analysts (Occupational Code: 15-1211): $56.57 (base hourly wage) ÷ 70.7% (benefits)= $80.01 x 75 percent of the time needed for each response = $60.0075;
Legal (Occupational Code: 23-0000): $104.10 (base hourly wage) ÷ 70.7% (benefits)= $147.24 x 12.5 percent of the time needed for each response = $18.405; and
Database Administrators (Occupational Code: 15-1242): $54.40 (base hourly wage) ÷ 70.7% (benefits)= $76.94 x 12.5 percent of the time needed for each response = $9.6175.
FERC-921 Estimated Burdens
Type of Response |
Number of Respondents (1) |
Annual Number of Responses per Respondent (2) |
Total Number of Responses (1)*(2)=(3) |
Average Burden & Cost Per Response (4) |
Total Annual Burden Hours & Cost (3)*(4)=(5) |
Annual Cost per Respondent ($) (5)÷(1) |
Ongoing Electronic Delivery of Data |
6 |
1 |
611 |
52 hrs.; $4,577.56 |
312 hrs.; $27,465.36 |
$4,577.56 |
Data Delivery Changes Over the Year12 |
6 |
1 |
6 |
480 hrs.; $42,254.40 |
2,880 hrs.; $253,526,40 |
$42,254.40 |
Total |
N/A |
2 |
12 |
N/A |
3,192 hrs.; $280,991.76 |
$46,831.96 |
ESTIMATE OF THE TOTAL COST BURDEN TO RESPONDENTS
Total Capital and Start-up cost: $0
Total Operation, Maintenance, and Purchase of Services: $0
There are no non-labor costs currently associated with the FERC-921 information collection. All of the costs in this collection are associated with burden hours (labor) and described in Questions #12 and #15.
14. ESTIMATED ANNUALIZED COST TO THE FEDERAL GOVERNMENT
The Commission bases its estimate of the “Analysis and Processing of Filings” cost to the Federal Government on salaries and benefits for professional and clerical support. This estimated cost represents staff analysis, decision making, and review of any actual filings made in response to the information collection.
The PRA Administrative Cost is a Federal Cost associated with preparing, issuing, and submit-ting materials necessary to comply with the Paperwork Reduction Act (PRA) for rulemakings, orders, or any other vehicle used to create, modify, extend, or discontinue an information collection. This average annual cost includes requests for extensions, all associated rulemakings, other changes to the collection, and publications in the Federal Register.
The estimated annualized cost to the Federal Government for FERC-921 follows:
|
Number of FTE’s |
Estimated Annual Federal Cost ($) |
PRA13 Administration Cost |
|
$8,396 |
Analysis and Processing of Filings for FERC-92114 |
3.5 |
$707,251 |
Total |
|
$715,647 |
15. REASONS FOR CHANGES IN BURDEN INCLUDING THE NEED FOR ANY INCREASE
There are program changes to improve the accuracy of this information collection request. As previously approved, FERC-921 included only one collection activity for Ongoing Electronic Delivery of RTO/ISO Data, thus erroneously omitting Data Delivery Change Over the Year. That single activity has been removed, resulting in a decrease of 12 responses and 532 hours.
This request includes burden estimates for two activities: (1) Ongoing Electronic Delivery of Data, and (2) Data Delivery Changes Over the Year. This program change increases the accuracy of the disclosure of burdens. This program change results in no effect on the number of responses and a net increase of 2,660 hours.
The estimates of burden and number of responses follow.
FERC-921 |
Total Request |
Previously Approved |
Change due to Adjustment in Agency Estimate |
Program Change Due to Agency Discretion |
Annual Number of Responses |
12 |
12 |
0 |
0 |
Annual Time Burden (Hrs.) |
3,192 hrs. |
532 hrs. |
0 |
+ 2,660 hrs. |
Annual Cost Burden ($) |
$0 |
$0 |
$0 |
0 |
16. TIME SCHEDULE FOR THE PUBLICATION OF DATA
These data are not intended for publication.
17. DISPLAY OF EXPIRATION DATE
The expiration date is displayed at https://www.ferc.gov/enforcement-legal/legal/information-collections
18. EXCEPTION TO THE CERTIFICATION STATEMENT
There are no exceptions.
Attachment A
This is a list of the RTOs/ISOs affected by the FERC-921 information collection and general descriptions of each:
California Independent System Operator (CAISO) is a nonprofit organization with over 54,000 megawatts of capacity and over 26,000 circuit miles of transmission lines.
New York Independent System Operator (NYISO) is a nonprofit organization that oversees wholesale electricity markets serving 20.2 million customers. NYISO manages a nearly 11,000-mile network of high-voltage transmission lines.
PJM Interconnection (PJM) is comprised of more than 700 members including power generators, transmission owners, electricity distributers, power marketers, and large industrial customers and serves 13 states and the District of Columbia.
Southwest Power Pool (SPP) has members in fourteen states and has 70,025 miles of transmission lines. SPP service territory is approximately 552,885 square miles in 2021.
Midcontinent Independent System Operator (MISO) is a nonprofit organization with over 184,000 megawatts of installed generation. MISO has over 65,800 miles of transmission lines and serves 15 states and one Canadian province.
ISO New England (ISO-NE) is a regional transmission organization serving six states in New England. The system is comprised of more than 9,000 miles of high-voltage transmission lines and over 350 dispatchable generators.
1 Enhancement of Electricity Market Surveillance and Analysis through Ongoing Electronic Delivery of Data from Regional Transmission Organizations and Independent System Operators, Order No. 760, 77 FR 26674 (May 7, 2012).
2 See 16 U.S.C. 824d, 824e.
3 See 16 U.S.C. 824v.
4 16 U.S.C. 825(b).
5 16 U.S.C. 825f(a).
6 The EQR is the reporting mechanism FERC uses for public utilities to fulfill their responsibility under FPA section 205(c) (16 U.S.C. 824d(c))) to have their rates and charges on file in a convenient form and place. EQRs are authorized under OMB Control Number 1902-0255.
7 Order No. 760 (in Docket No. RM11-17) was issued on 4/19/2012 and is available here: https://cms.ferc.gov/sites/default/files/2020-06/OrderNo.760.pdf
8 Order No. 760 (in Docket No. RM11-17) was issued on 4/19/2012 and is available here: https://cms.ferc.gov/sites/default/files/2020-06/OrderNo.760.pdf
10 Costs (for wages and benefits) are based on the mean wage estimate by the Bureau of Labor Statistics’ (BLS) Occupational Employment and Wage Statistics (OEWS) program from May 2023 (https://www.bls.gov/oes/current/naics2_22.htm.) and benefits information for private industry workers (https://www.bls.gov/news.release/ecec.nr0.htm.
11 Each RTO/ISO electronically submits data daily. To match with past filings, we are considering the collection of daily responses to be a single response.
12 The hour burden associated with a “Data Delivery Change Over the Year” varies considerably based on the significance of the specific change; therefore, the estimate is intended to reflect the incremental burden for an average change. Based on historical patterns, staff estimates there to be about one and a half changes of this nature per RTO or ISO per year. Based on our estimate that the total time required for a single change is 320 hours, and there are, on average, 1.5 changes annually, the total time for this category of response is 480 hours (1.5 x 320 hours).
13 Paperwork Reduction Act of 1995 (PRA).
14 Based on the Commission’s 2024 annual cost per full-time equivalency of $207,786.00 (for salary plus benefits).
File Type | application/vnd.openxmlformats-officedocument.wordprocessingml.document |
File Title | SUPPORTING STATEMENT FOR |
Author | michael miller |
File Modified | 0000-00-00 |
File Created | 2024-07-20 |