SRECTrade Illinois Procurement Program Intro Webinar

Posted March 30th, 2015 by SRECTrade.

SRECTrade will be hosting a webinar on April 7th 2015 at 1:00 PM Central (2:00 PM Eastern) for installers and system owners interested in participating in the upcoming Illinois Supplemental Photovoltaic Procurement Program. The webinar will cover the basic rules of the program, registering a system with SRECTrade, and submitting a bid for the upcoming solicitation.

To register click here

We encourage solar installers active in the state of Illinois to join us to learn how existing and future clients can participate in the Supplemental Photovoltaic Procurement Program. If unable to participate in the webinar, a recording will be made available afterwards.

March 19, 2015 Maryland SREC Market Update Webinar Slides and Recording Available

Posted March 23rd, 2015 by SRECTrade.

On March 19, 2015, SRECTrade hosted a webinar on the MD SREC market. For access to the slides please click here: SRECTrade 03/19/15 MD SREC Update. For access to a video recording of the webinar, click the image below.

This document and recording is protected by copyright laws and contains material proprietary to SRECTrade, Inc. It or any components may not be reproduced, republished, distributed, transmitted, displayed, broadcast or otherwise exploited in any manner without the express prior written permission of SRECTrade, Inc. The receipt or possession of this document does not convey any rights to reproduce, disclose, or distribute its contents, or to manufacture, use, or sell anything that it may describe, in whole or in part. If consent to use these materials is granted, a link to the current version of this document on the SRECTrade website must be included for reference.

SRECTrade Markets Report: February 2015

Posted March 23rd, 2015 by SRECTrade.

The following post is a monthly update outlining the megawatts of solar capacity certified to create SRECs in the Solar REC markets that SRECTrade serves. All PJM data is based on the information available in PJM GATS as of the date noted. All MA data is based on the information provided by the DOER as of the date noted. This analysis does not include projects that are not yet registered and certified with the entities noted herein.

A PDF copy of this table can be found here.

Capacity_February2015

Overview of PJM Eligible Systems Through 3/4/2015

There are 56,894 facilities registered in GATS as of 3/4/2015. See below for a more detailed breakdown.

Screenshot_032215_093306_PM

There are 310 projects over 1 MW in capacity, representing 936.8 MW or 43.9% of the qualified capacity. The largest projects in PJM are concentrated in NJ and MD. There are 47 projects that are 5 MW or larger. These make up 20.6% of all qualified capacity in PJM. The top 5 largest projects are listed below.

NJ Office of Clean Energy Estimated Installed Capacity Through 2/28/15

On March 10, 2015, the New Jersey Office of Clean Energy (OCE) announced total installed solar capacity reached 1,456.6 MW through 2/28/15; an increase of approximately 17.8 MW over the total capacity reported through the end of January 2015. The average last six month build rate per month, according to the OCE data, is 18.7 MW. Note that this data does not directly tie to GATS registration data because of a lag between NJ Office of Clean Energy certifications and GATS registrations.

Overview of MA DOER SREC-I and SREC-II Eligible Systems

SREC-I Program

The Massachusetts SREC-I program was capped on June 30, 2014. As of 3/13/2015 the DOER reported that 25 MW of solar is still listed as Qualified but not operational. In total, 654.8 MW of capacity is listed as qualified, of which 629.8 MW is operational.

SREC-II Program

The SREC-II program opened on April 25, 2014. The program is broken in to Market Sectors. For a detailed overview of the regulations regarding SREC-II please visit here. As of 3/12/2015, 214.9 MW of capacity is currently qualified under the SREC-II program, but only 92.7 MW is operational.

How to Interpret The Capacity Table at the Top of this Post

The tables above demonstrate the capacity breakout by state. Note, that for all PJM GATS registered projects, each state includes all projects certified to sell into that state. State RPS programs that allow for systems sited in other states to participate have been broken up by systems sited in-state and out-of-state. Additional detail has been provided to demonstrate the total capacity of systems only certified for one specific state market versus being certified for multiple state markets. For example, PA includes projects only certified to sell into the PA SREC market, broken out by in-state and out-of-state systems, as well as projects that are also certified to sell into PA and Other State markets broken out by in state and out of state systems (i.e. OH, DC, MD, DE, NJ). PA Out-of-State includes systems sited in states with their own state SREC market (i.e. DE) as well as systems sited in states that have no SREC market (i.e. VA). Also, it is important to note that the Current Capacity represents the total megawatts eligible to produce and sell SRECs as of the noted date, while the Estimated Required Capacity – Current and Next Reporting Year represents the estimated number of MW that need to be online on average throughout the reporting period to meet the RPS requirement within each state with only that particular compliance period vintage. For example, New Jersey needed approximately 496.7 MW online for the entire 2013 reporting year to meet the RPS requirement with 2013 vintage SRECs only. SRECs still available from prior eligible periods can also impact the Solar RPS requirements. Additionally, the data presented above does not include projects that are in the pipeline or currently going through the registration process in each state program. This data represents specifically the projects that have been approved for the corresponding state SREC markets as of the dates noted.

Note: SREC requirements for markets without fixed SREC targets have been forecast based on EIA Report “Retail Sales of Electricity by State by Provider” updated 11/8/13. Projected SRECs required utilizes the most recent EIA electricity data applying an average 1.5% growth rate per forecast year. The state’s RPS Solar requirement is then multiplied by forecast total electricity sales to arrive at projected SRECs required. Projected capacity required is based on a factor of 1,200 MWh in PJM states and 1,160 MWh in MA, generated per MW of installed capacity per year.

MA Solar Development Slow Down Likely as Net Metering Caps are Hit

Posted March 22nd, 2015 by SRECTrade.

This blog post is based on the post available at www.solarisworking.org.

In mid-March 2015, the net metering cap for public projects was hit in the National Grid territory (see red box in chart below). The Commonwealth’s legislatively-mandated net metering caps are based on each utility’s historical peak megawatt energy demand. Effective November 4, 2014  net metering caps were set at 4% for “private” projects and 5% for “public” projects of each utility’s historical peak demand, out of line with the state’s 1600 MW solar target. Representing 45% of total net metering capacity in Massachusetts, National Grid also services a region of Massachusetts where it is easier and less expensive for developers to find suitable sites for solar, but Unitil and NGrid-Nantucket are not far behind in hitting the caps in either the private or public sector. The outlier is the NStar (now EverSource) territory, where it is more difficult and more expensive to find suitable sites for solar.

As the caps across the state’s utilities are hit, new solar projects will no longer be eligible to earn retail credit for the excess power returned to the grid. Instead, they will be credited for any excess power at roughly a third of the retail rate. This decreased benefit would render many solar projects financially unviable. Although residential systems 10 kW or less and many commercial systems 25 kW or less are exempt from net metering caps, community shared solar and larger solar projects are not. As a result, development activity for these projects is expected to come to a halt unless the legislature raises the caps. Several bills have been filed this year to address the need to raise net metering caps in order to meet the Commonwealth’s 1600 MW solar target, and the future of the Commonwealth’s solar industry hangs in the balance as the Legislature reviews the bills on its table.

03202015 caps

Source: Massachusetts System of Assurance of Net Metering Eligibility. The data provided below reflects the best available estimate at the time of access of capacity (kW) interconnected, reserved, and pending that is receiving, or eligible to receive, net metering services. The accuracy of this data set is limited as adjustments to outstanding Applications for Cap Allocation may occur at any time. Data and aggregate figures included in this report should be used for informative purposes only. Verified updates provided in the Application Activity and Remaining Capacity Report will continue to be available on a weekly basis, each Wednesday. Posted 3/20/2014.

 

If you want to voice your support to raise the net metering caps, here’s what you can do:

  • Tell Governor Baker to support solar in Massachusetts.
  • E-mail or call your state legislators and ask them to raise net metering caps and to support the continuation of the successful SREC program in Massachusetts.
  • Find out who your elected officials are here.
  • Look up and track legislation here.

 

Visit The Official Website of the Executive Office of Energy and Environmental Affairs to learn more about net metering.

 

MassSolar Launches “Solar Is Working” Website

Posted March 13th, 2015 by SRECTrade.

On Monday, March 9th, MassSolar proudly announced the launch of their new website, www.SolarIsWorking.org. MassSolar is a collaboration of Massachusetts solar business, solar owners, environmental advocates, community organizations, and motivated citizens dedicated to advancing progressive solar policy Massachusetts. As a versatile resource hub catering to the diverse solar community, MassSolar seeks to achieve modernization and maximization of efforts in the Massachusetts solar sphere while specifically focusing on expansion of the state’s solar economy.

The intuitive site provides its users with a variety of resources useful for installers, residential PV system owners, legislators, and the curious alike.  In addition to market reports and factsheets, the site offers a blog that will host contributions from stakeholders across the Commonwealth’s solar community.  MassSolar intends for the site to serve as a platform for discussions surrounding a home’s solar potential, the Net Metering and Solar Task Force proceedings, as well as legislation impacting the state’s solar industry.

MassSolar’s website also provides fun, yet informative, segments for the less solar savvy such as “10 Things About Solar Energy” and “Solar Stories,” a compilation of anecdotal evidence that highlights the advantages of solar programs in Massachusetts and the efficacy of current statewide programs.  To share your solar story, please send it to info@solarisworking.org.

Maryland Market Update Webinar – March 19th at 2 pm ET

Posted March 12th, 2015 by SRECTrade.

SRECTrade will host a webinar on Thursday, March 19th at 2PM ET to review the Maryland SREC Market.

With a new administration and proposed changes to the RPS, we will examine recent developments in the market. We will review the installed capacity and SREC supply as well as discuss pricing in spot and forward markets.

Please register for the presentation here.

 

Proposed Bill Aims to Double Maryland’s RPS by 2025

Posted February 26th, 2015 by SRECTrade.

Following a press conference held on Friday to encourage Maryland’s lawmakers to double Maryland’s existing Renewable Portfolio Standard (RPS), Maryland’s Senate Finance Committee held a meeting on Tuesday to discuss the efficacy of such a change, and to gauge just how far lawmakers are willing to go on increasing the requirement.

The Clean Energy Advancement Act of 2015 (HB 377/SB 373), led by Senator Brian Feldman, D-Montgomery, is supported by 16 Senate and 45 House co-sponsors, and would require 25 percent of Maryland’s electricity from clean sources by 2020, with an uptick to 40 percent by 2025.  The 40% by 2025 goal would double the state’s current RPS. House sponsor Delegate Bill Frick, D-Montgomery, voiced support for the bill at the House Economic Matters committee meeting on Friday, urging fellow lawmakers that now is the time to increase the RPS, but also expressed his understanding that it may be difficult to pass the bill with the 40 percent mandatory language.

While many lawmakers and Maryland citizens alike believe that Maryland should embrace this opportunity to advance in the clean energy sector, opponents of the bill argue that such a drastic change will create serious economic challenges to utility companies. To deal with the upswing in costs from the proposed goal, an increase of $0.52 is expected in monthly energy bills by 2020.  However, proponents of the bill like Tom Landers, policy director for the Climate Change Action Network in Maryland and Washington, D.C., encouraged the policymakers to “. . . have a bigger picture view of the costs, because the costs of fossil fuels are more than what we assume from our bill…”, urging that there are additional economic, environmental, and health costs associated with the continued use of fossil fuels that must be taken into account in the cost equation.

While the proposed bill is engineered to work alongside a 2012 law mandating a 25 percent statewide reduction in greenhouse gas emissions by 2020 while simultaneously spurring job growth, the change will undoubtedly come with a price tag. Accordingly, the question becomes whether the benefits of decreased fossil fuel use and increased clean energy use outweigh the rising costs of energy bills. While a handful of representatives expressed their doubts about the sustainability of an increased RPS, statistics show that 69 percent of Marylanders support the increase, in addition to the support in the Maryland House and Senate.

** UPDATE ** Sources who were present at the House and/or Senate hearings have stated that the bill has been revised to remove the 40% by 2025 mandatory language, which means that the bill will only require an RPS of 25% by 2020. However, this amended bill has not yet been posted on Maryland’s General Assembly site, so the text of the amended bill cannot yet be verified.

SRECTrade Markets Report: January 2015

Posted February 20th, 2015 by SRECTrade.

The following post is a monthly update outlining the megawatts of solar capacity certified to create SRECs in the Solar REC markets that SRECTrade serves. All PJM data is based on the information available in PJM GATS as of the date noted. All MA data is based on the information provided by the DOER as of the date noted. This analysis does not include projects that are not yet registered and certified with the entities noted herein.

A PDF copy of this table can be found here.

Capacity_January2015

Overview of PJM Eligible Systems Through 2/4/2015

There are 55,478 facilities registered in GATS as of 2/4/2015. See below for a more detailed breakdown.

There are 300 projects over 1 MW in capacity, representing 872.9 MW or 42.6% of the qualified capacity. The largest projects in PJM are concentrated in NJ and MD. There are 38 projects over 5 MW or larger. These make up 18.3% of all qualified capacity in PJM. The top 5 largest projects are listed below.

Screenshot_021915_085038_PM

NJ Office of Clean Energy Estimated Installed Capacity Through 1/31/15

On February 6, 2015, the New Jersey Office of Clean Energy (OCE) announced total installed solar capacity reached 1,438.9 MW through 1/31/15; an increase of approximately 7.0 MW over the total capacity reported through the end of January 2015. The average last six month build rate per month, according to the OCE data, is 17.0 MW. Note that this data does not directly tie to GATS registration data because of a lag between NJ Office of Clean Energy certifications and GATS registrations.

Overview of MA DOER SREC-I and SREC-II Eligible Systems

SREC-I Program

The Massachusetts SREC-I program was capped on June 30, 2014. As of 2/12/2015 the DOER reported that 30.0 MW of solar is still listed as Qualified but not operational. In total, 654.8 MW of capacity is listed as qualified, of which 624.8 MW is operational.

SREC-II Program

The SREC-II program opened on April 25, 2014. The program is broken in to Market Sectors. For a detailed overview of the regulations regarding SREC-II please visit here. As of 2/12/2015, 210.7 MW of capacity is currently qualified under the SREC-II program, but only 83.5 MW is operational.

How to Interpret The Capacity Table at the Top of this Post

The tables above demonstrate the capacity breakout by state. Note, that for all PJM GATS registered projects, each state includes all projects certified to sell into that state. State RPS programs that allow for systems sited in other states to participate have been broken up by systems sited in-state and out-of-state. Additional detail has been provided to demonstrate the total capacity of systems only certified for one specific state market versus being certified for multiple state markets. For example, PA includes projects only certified to sell into the PA SREC market, broken out by in-state and out-of-state systems, as well as projects that are also certified to sell into PA and Other State markets broken out by in state and out of state systems (i.e. OH, DC, MD, DE, NJ). PA Out-of-State includes systems sited in states with their own state SREC market (i.e. DE) as well as systems sited in states that have no SREC market (i.e. VA). Also, it is important to note that the Current Capacity represents the total megawatts eligible to produce and sell SRECs as of the noted date, while the Estimated Required Capacity – Current and Next Reporting Year represents the estimated number of MW that need to be online on average throughout the reporting period to meet the RPS requirement within each state with only that particular compliance period vintage. For example, New Jersey needed approximately 496.7 MW online for the entire 2013 reporting year to meet the RPS requirement with 2013 vintage SRECs only. SRECs still available from prior eligible periods can also impact the Solar RPS requirements. Additionally, the data presented above does not include projects that are in the pipeline or currently going through the registration process in each state program. This data represents specifically the projects that have been approved for the corresponding state SREC markets as of the dates noted.

Note: SREC requirements for markets without fixed SREC targets have been forecast based on EIA Report “Retail Sales of Electricity by State by Provider” updated 11/8/13. Projected SRECs required utilizes the most recent EIA electricity data applying an average 1.5% growth rate per forecast year. The state’s RPS Solar requirement is then multiplied by forecast total electricity sales to arrive at projected SRECs required. Projected capacity required is based on a factor of 1,200 MWh in PJM states and 1,160 MWh in MA, generated per MW of installed capacity per year.

Illinois Commerce Commission Issues Final Order on Supplemental PV Procurement Plan

Posted January 27th, 2015 by SRECTrade.

On June 28, 2014, Illinois Governor Pat Quinn signed Illinois House Bill 2427 into law as Public Act 98-0672, creating the new Section 1-56(i) of the Illinois Power Agency Act (“IPA Act”). This Section called upon the Illinois Power Agency (“IPA”) to “develop a one-time supplemental procurement plan limited to the procurement of renewable energy credits, if available, from new or existing photovoltaics, including, but not limited to, distributed photovoltaic generation” using up to $30 million from the Renewable Energy Resources Fund (“RERF”). (20 ILCS 3855/1-56(i)(1)).

As required by Section 1-56(i), the IPA held a workshop on August 7, 2014 and subsequently presented its Draft Supplemental Plan for public comment on September 29, 2014. Comments were received by October 14, 2014, at which point the IPA prepared its revised plan for submission to the Illinois Commerce Commission (“Commission”). Documents related to the August 7th workshop and Draft Supplemental Plan are available here.

On October 28, 2014, the IPA submitted to the Commission its proposed supplemental procurement plan (“Supplemental Plan”). The documents submitted in the Initial ICC Filing are available here. Per the Commission, the Supplemental Plan is designed to “ensure adequate, reliable, affordable, efficient, and environmentally sustainable renewable energy resources (including credits) at the lowest total cost over time, taking into account any benefits of price stability.” (Id.).

On January 21, 2015 the Commission issued its Final Order (“Order”) on the Supplemental Plan submitted with the IPA’s October 28, 2014 petition. The Commission approved the Supplemental Plan, subject to several modifications set forth in the prefatory portion of the Order.

The Supplemental Plan defines the products to be procured as “Renewable Energy Credits (“RECs”) from new photovoltaic systems with contracts of five years in length.” The definition of “new” is defined as “energized on or after the date of approval of the Supplemental PV Procurement Plan.”

The Procurement Process will consist of three procurement events, plus a fourth contingency event, that will take place over a two year period. The three procurement events will be held as follows (as modified by the Order):

  1. June 2015: $5 million allocated
    • For facilities under 25 kW: 500 REC minimum bid/5,000 REC maximum bid*
    • For facilities including and over 25 kW: 500 kW maximum system size and 500 REC minimum bid/no REC maximum bid
  2. November 2015: $10 million allocated
    • For facilities under 25 kW: 500 REC minimum bid/no REC maximum bid (representing 50% of RECs in this procurement event)
    • For facilities including and over 25 kW to 500 kW: representing 15% of RECs in this procurement event
    • For facilities over 500 kW to 2 MW: representing 35% of RECs in this procurement event
  3. March 2016: $15 million allocated
    • For facilities under 25 kW: 500 REC minimum bid/no REC maximum bid
    • For facilities including and over 25 kW: 2 MW maximum system size and 500 REC minimum bid/no REC maximum bid

If there is an outstanding balance of available funds once the three procurement events have taken place, a fourth contingency event will take place in early 2017. The IPA noted in the Supplemental Plan that this event will possibly limit the categories of systems that may participate.

Across the procurement events, there are several key provisions and requirements:

  • There are two or three categories of procurement (as detailed above and as modified by the Order):
    • Under 25 kW systems can include identified systems or bids for “speculative” systems.
    • Over 25 kW systems must be specifically identified prior to bidding.
  • A capacity factor of 14.38% will be applied to the DC nameplate capacity, which will be used to calculate the number of RECs that will be produced over the 5-year life of the contract.
  • For each category in each procurement event, the minimum bid is 500 RECs (roughly sixteen 5 kW systems).
  • Credit requirements for the procurement shall include a refundable deposit per REC of $16/REC ($100/kW) for “speculative” systems and $8/REC ($50/kW) for identified systems. Bidders will be required to submit half of the deposit for their bid on or before the bid date, and winning bidders will be required to deposit the balance within fourteen (14) days of the announcement of the procurement results.
  • Speculative systems in the under 25 kW category will need to be identified within 6 months of the Procurement Event.
  • Systems will have 12 months from the Procurement Event (or date of identification, whichever is later) to start operation.
  • Revenue Grade Meters will be required for all systems.
  • RECs must be tracked and delivered using either the PJM GATS or M-RETS tracking systems.
  • Standard contracts and a sealed, pay-as-bid Request for Proposal will be used for each procurement event.
  • All bids must be below confidential benchmarks, and bids will be evaluated in a manner that strives to achieve the goal of having half the RECs procured come from systems under 25 kW in size (however, distinct benchmarks prices will be developed for the two size categories).

Under Section 1-56(i), the IPA was charged with “solicit[ing] the use of third-party organizations to aggregate distributed renewable energy into groups of no less than one megawatt in installed capacity.” Accordingly, the IPA defined an aggregator “as a third-party (i.e., non-system owner) that (i) owns or plans to acquire either unconditioned title to or rights to legally transfer renewable energy credits from distributed renewable energy devices through contracts with multiple system owners, and (ii) is willing to contract with IPA and accepts standard Illinois terms as well as procedures for contract administration.” In addition to this definition, the IPA proposed that aggregators will be required to pre-qualify with the IPA by meeting the following provisions:

  • Aggregator is registered to do business in the State of Illinois;
  • Aggregator is able to ensure meter data is collected from aggregated systems; and
  • Aggregator is or will be registered with PJM GATS and/or M-RETS upon contract award.

In its Order, the Commission “recommends that the IPA develop a webpage analogous to the Commission’s “Plug In Illinois” webpage to provide basic information in layman’s terms to potential participants in the SREC procurement for 25 kW PV systems.”

In its petition for the Commission’s approval, the IPA recognized that this plan “cannot address all the needs of the market, or overcome all of the barriers[,]” given the limited funds available. However, the IPA is hopeful that the procurement events will serve as a learning opportunity for the future of solar development in the State of Illinois.

The Order requires the IPA to file the final version of the Supplemental Plan, consistent with the conclusions of the Order, within 30 days of January 21, 2015.

 

 

*Please Note: The term “bid” as used throughout the Supplemental Plan refers to system owners submitting an offer to sell at a given price.

January 22, 2015 New Jersey SREC Market Update Webinar Slides and Recording Available

Posted January 26th, 2015 by SRECTrade.

On January 22, 2015, SRECTrade hosted a webinar on the NJ SREC market. For access to the slides please click here: SRECTrade 01/22/15 NJ SREC Update. For access to a video recording of the webinar, click the image below. Please note, the slides in the link above differ from the recording below. They have been updated to reflect the additional solar capacity installed in December 2014. This announcement was made by the NJ Office of Clean Energy on January 22, 2015.

This document and recording is protected by copyright laws and contains material proprietary to SRECTrade, Inc. It or any components may not be reproduced, republished, distributed, transmitted, displayed, broadcast or otherwise exploited in any manner without the express prior written permission of SRECTrade, Inc. The receipt or possession of this document does not convey any rights to reproduce, disclose, or distribute its contents, or to manufacture, use, or sell anything that it may describe, in whole or in part. If consent to use these materials is granted, a link to the current version of this document on the SRECTrade website must be included for reference.