Archive for the ‘SREC Markets’ Category

Reminder: NJ Brokerage Webinar Is Friday, 2/15/2013 at 3 pm ET

Posted February 14th, 2013 by SRECTrade.

SRECTrade’s brokerage team will cover NJ SREC market trends and capacity projections. The webinar is particularly geared for institutional and commercial scale market participants.  Register for the webinar by clicking this link: https://srectrade.clickwebinar.com/NJ_Market_Update/register

About the speakers

Brad mugBrad Bowery is the CEO of SRECTrade, a company he has managed since 2008. Under Brad’s stewardship SRECTrade provides SREC services for over 5,000 facilities and 70+ MW of aggregated solar capacity. Brad holds an MBA from the Stanford Graduate School of Business.

Steven - mugSteven Eisenberg is the Vice-President of Business Development. Steven has been with SRECTrade since 2010 and is responsible for starting and managing SRECTrade’s growing brokerage and institutional SREC asset management business units.

Alex mugAlex Sheets comes to SRECTrade from SunEdison. As SRECTrade’s Director of Environmental Markets, Alex assists buyers and sellers in originating, executing, and negotiating SREC transactions in the over the counter markets.

Watch out! Tricky New Jersey SREC Rules Require Prompt Registration and Extend SREC Life to Five Years

Posted February 11th, 2013 by SRECTrade.

NJ Board of Public Utilities (BPU) recently provided clarification on two SREC program rulings.

New solar energy projects must apply for an SRP number within 10 business days after the execution of a construction contract or face 12 month SREC eligibility suspension.

A June 4, 2012  BPU ruling requires that the NJ Office of Clean Energy (OCE) receive a NJ solar facility’s SREC Registration Program (SRP) application within 10 business days after the execution of the contract for purchase or installation of photovoltaic panels.  The requirement is outlined on the NJ OCE webiste here.  All non-compliant solar facilities will face a 12-month suspension from the date of interconnection. During that period, any SRECs created in PJM-GATS for that facility will not be marked as eligible for compliance in the NJ SREC market. Following the 12-month penalty period, PJM-GATS will reinstate the state certification number for all of those SRECs so that they will be valid for compliance. All SRECs created after the initial 12 months will be generated normally, and be immediately eligible for compliance in the SREC program.

SRECs created from photovoltaic generation on or after July 23, 2012 are eligible for five years. SRECs created from photovoltaic generation prior to July 23, 2012 are elgible for three years. 

The second clarification concerned a section of S1925, which became law on July 23rd, 2012, and among other things, increased the useful lifetime of SRECs in NJ from 3 years to 5 years. A detailed analysis of S1925 can be found here. The legislation was unclear whether the extended life would affect all SRECs (including prior compliance years’ SRECs), and if not, whether June 2012 and July 2012 SRECs would be treated separately than other NJ 2013 SRECs since the law was changed mid-month. The law states that, “SRECs shall be eligible for use in renewable energy portfolio standards compliance in the energy year in which they are generated, and for the following four energy years.” Since pre-July 2012 SRECs are never mentioned in the law, there appears to be no justification for treating them differently. Nonetheless, the BPU has so far failed to officially address this issue in writing. Originally, BPU staff verbally stated that only SRECs awarded for July 2012 generation and forward were to be awarded the extended lifetime. SRECTrade believes that the BPU’s verbal statements reflect the likely outcome of an official ruling later.

OH SREC Rule Change: SRECs only created from date of application to PUCO

Posted February 11th, 2013 by SRECTrade.

On January 1, 2013 the Ohio Public Utilities Commission (PUCO) stopped allowing SRECs to be created from power generated prior to the date of application for state certification.  The official reference to this rule change can be found  on the OH PUCO website.

What this means:

  • Starting in January 2013 SRECs are created from the date of application (this is in line with the rules for the PA SREC market).
  • SRECTrade applications should be submitted as soon as possible for all systems or some SREC opportunity will be lost.
  • Online monitoring software cannot be used to create SRECs retroactive to the date of interconnection.

NJ Market Update Webinar: Friday, 2/15/2013 at 3 pm ET

Posted February 11th, 2013 by SRECTrade.

SRECTrade’s brokerage team is hosting a webinar covering the New Jersey SREC market on Friday, 2/15 at 3 pm ET.  The presentation will cover NJ SREC market trends and capacity projections. The discussion will target clients representing  commercial and utility-scale projects.

Project developers, SREC asset owners with projects over 250 kW in size, and other interested parties are encouraged to participate. The webinar will be recorded and posted online. Please register for this webinar by clicking the link posted here: https://srectrade.clickwebinar.com/NJ_Market_Update/register

SRECTrade will present another webinar focused on its retail and residential, defined as projects <250 kW, services for New Jersey installers and clients at a later date.

About the speakers:

Brad Bowery is the CEO of SRECTrade, a company he has managed since 2008. Under Brad’s stewardship SRECTrade provides SREC services for over 5,000 facilities and 70+ MW of aggregated solar capacity. Brad holds an MBA from the Stanford Graduate School of Business.

Steven Eisenberg is the Vice-President of Business Development. Steven has been with SRECTrade since 2010 and is responsible for starting and managing SRECTrade’s growing brokerage and institutional SREC asset management business units.

Alex Sheets comes to SRECTrade from SunEdison. As SRECTrade’s Director of Environmental Markets, Alex assists buyers and sellers in originating, executing, and negotiating SREC transactions in the over the counter markets.

Massachusetts 10 Year Opt-in Term Deadline

Posted February 6th, 2013 by SRECTrade.

Summary
The opt-in term for MA systems will likely be reset to 8 years for systems that submit their information to the DOER after June 20th. SRECTrade customers should submit the complete system information for any new systems prior to June 1st to ensure that SRECTrade can process them and correct any errors prior to the June 20th deadline. Existing systems which are already qualified or have submitted their complete information will not be subject to any change in their opt-in term and do not need to take any action at this time.

Details
There have been a number of questions recently submitted by astute readers of the MA solar carve-out rules about the potential for reduction in the opt-in term. One of the features of the MA solar carve-out is a dynamic opt-in term that expands and contracts based on the over or under supply of SRECs each year. The opt-in term is the length of time that a generation unit is eligible to participate in the Solar Credit Clearinghouse Auction, typically referred to as the last chance auction, run by the MA Department of Energy Resources.  The opt-in term was originally set to 40 quarters (10 years), and is increased or decreased by four quarters for each full 10% of the compliance obligation that is deposited into the last chance auction. However, it can only change by a maximum of 8 quarters per year, and can never go below 5 years or above 10 years. This system is designed to make solar installation less attractive in an over-build and more attractive in an under-build scenario, hopefully avoiding the significant volatility seen in other state SREC markets.

Each system is assigned an opt-in term at the time it receives its statement of qualification. The term commences the earlier of the RPS Effective date (the date a system is turned on or receives interconnection, whichever is later) or the first day of the next calendar quarter from the date of qualification. Once a system is assigned an opt-in term, it keeps that term for the life of the system. Any changes to the opt-in term only impact new systems going forward.

The opt-in term has remained at 10  years because no SRECs were deposited in the last chance auction last year. However, based on the installed base of systems in MA in 2012, SRECTrade calculates that approximately 50,000 more SRECs were produced than the 73,400 needed under the RPS. This will trigger a maximum 8 quarter reduction in the opt-in term. Systems can receive qualification prior to interconnection if a completed application is submitted to the DOER by June 20th.  Submitting an application to the DOER prior to  June 20th will allow the system to receive the current 10 year opt-in term. The applications will need to include all system information, however the system information can be updated with the final build specs when the interconnection letter is submitted.  We recommend that all SRECTrade customers have their full application in to SRECTrade by June 1st, to allow us to check for any missing information and ensure the completed application is submitted by the June 20th deadline.

For more information on the Massachusetts 10 year opt-in deadline please visit the Massachusetts Department of Energy Resources Statement of Qualification page.

Update, 2/25/2013, per an email from the DOER, systems greater than 1 MW must prove that they have received all applicable state and local permits (if they have not yet received interconnection) in order to qualify for the 10 year opt-in prior to June 20th. 

Recorded Webinar for Massachusetts SRECTrade Clients

Posted January 23rd, 2013 by SRECTrade.

On Wednesday, 1/23/2013, SRECTrade recorded a 20 minute webinar for SRECTrade clients in Massachusetts. The webinar covered the basics of the Massachusetts SREC market as well as options SRECTrade customers have for selling their SRECs.

The recorded webinar can be watched on YouTube here:

http://www.youtube.com/watch?v=dHl8lJ0FCYA

Massachusetts Market Webinar for SRECTrade Clients

Posted January 14th, 2013 by SRECTrade.

SRECTrade will hold a webinar for retail (residential/small commercial) clients on Wednesday, 1/23 at 2 pm EST. The webinar follows up on SRECTrade’s Massachusetts market update webinar held on December 5, 2012.

The webinar is a client focused presentation covering the following questions/ topics:

  • Options for selling Massachusetts SRECs through SRECTrade- We address questions about when it makes sense to utilize  the Managed Sales versus SRECTrade auction services, as well as how clients can adjust their accounts between the Auction Service and Managed Sales. 
  • SREC Market fundamentals–  We will take on recurring client concerns such as: Why is pricing so low? Will SRECTrade move my SRECs in to the “Last Chance Auction.” Are there SREC sales deadlines?… and more.

We will accept questions via chat at the end of the 30 minute webinar. You must register to participate. A recorded version of the webinar will be posted on our blog.

To register please visit this url: https://srectrade.clickwebinar.com/Massachusetts_SREC_Webinar

 

Solar Capacity in the SREC States – December 2012

Posted January 7th, 2013 by SRECTrade.

SRECTrade SREC Markets Report: December 2012

The following post outlines the megawatts of solar capacity certified to create SRECs in the Solar REC markets SRECTrade currently 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 more detailed analysis of supply, demand and price trends in the SREC markets can be found in the SREC Market Monitor, a joint-venture between SRECTrade and Greentech Media’s GTM Research.

A PDF copy of this table can be found here.

***NJ Update*** NJ Clean Energy Program Installed Capacity as of 1/7/13: Preliminary estimates through December 2012 reached approximately 959.0 MW of installed solar capacity; a 9.0 MW increase over the prior month. It was noted on the NJ Clean Energy Program conference call that this figure is preliminary as some systems may not yet be included in December’s ending balance. The number in the table above represents all capacity registered in GATS as of the date noted. The remaining capacity will be registered and receive SREC credit from the date of project interconnection.

Overview of PJM Eligible Systems

As of January 4, 2012 there were 30,271 solar PV and 589 solar thermal systems registered and eligible to create SRECs in the PJM Generation Attribute Tracking System (GATS). Of these, 195 (0.63%) have a nameplate capacity of 1 megawatt or greater. Twenty of these projects have a nameplate capacity of 5 MW or greater. New Jersey continues to host most of the larger scale facilities, claiming home to 70% of the projects, 14 of 20 facilities, that are equal to or greater than 5 MW. The three largest projects are the 25.1 MW PSE&G utility pole mount project located in NJ, the 16.1 MW Mount St. Mary’s project in MD, and the 12.5 MW ACE Oak Fairton project located in NJ.

Massachusetts DOER Qualified Projects

As of January 14, 2013, there were 4,329 MA DOER qualified solar projects; 4,312 operational and 17 not operational. Total qualified capacity is 174.2 MW, 156.9 of which is operational and 17.3 MW not operational. Electricity suppliers providing power to the state need to acquire approximately 73,400 SRECs in 2012. According to NEPOOL GIS, 91,684 Q1 – Q3 2012 SRECs have been issued for the year to date. Additionally, 23,608 MWhs were reported to the MassCEC production tracking system for the 3 months covering October-December 2012.

How to Interpret This Table

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 10/1/12. 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 1,130 MWh in MA, generated per MW of installed capacity per year.

 

Update regarding Massachusetts DOER Solar Credit Clearinghouse Auction

Posted December 17th, 2012 by SRECTrade.

Earlier this month SRECTrade hosted a webinar on the Massachusetts SREC market. Since then, there have been a few questions relating to the Massachusetts DOER’s Solar Credit Clearinghouse Auction, informally referred to as the “Last Chance Auction.” Since there is a confirmed oversupply in Massachusetts for 2012, the Solar Credit Clearinghouse Auction will occur in July of 2013 for all unsold SRECs. The auction was designed as a “price support mechanism” for the Massachusetts SREC market, but it does not represent a “price floor,” a common misperception.

The specific dates of the auction are yet to be determined, but here is a rough outline of the timeline:

  • May 15th: Sellers may begin to deposit unsold SRECs int he Auction Account
  • June 15th: Deadline for sellers to deposit their unsold SRECs in the Auction Account (SRECTrade does this automatically for our customers)
  • Late June: Webinars, FAQs, Q&As will all be provided
  • July: Auction is held
  • August: Payments are made sometime in August
  • August 15th: Entire auction process (excluding payment delivery) must be completed by this date in order to commence 2013 SREC market activity

Here are a few key things to know about the auction:

  • All unsold SRECs must be deposited in the Solar Credit Clearinghouse Auction, otherwise they are forfeited by the seller and retired, having no value to the sellers (again, SRECTrade will ensure that every unsold SREC is deposited for our clients)
  • SRECs must be deposited in the auction by the original aggregator/account holder. 3rd party account holders are ineligible from participating in the Solar Credit Clearinghouse Auction
  • If the auction clears, sellers receive $285 per SREC (note: SRECTrade fees are applicable)
  • If the auction does not fully clear, every seller will sell an equal percentage of SRECs. If 50% of the auction clears, each seller will sell 50% of the SRECs deposited
  • SRECs that do not clear in the auction are returned to the seller with 3 additional years of life, so the SREC created in 2012 will have value to a buyer in 2013, 2014 and 2015
  • SRECs that do not clear in the auction are NOT eligible for any future Solar Credit Clearinghouse Auctions
  • If there is an oversupply, Buyers may “bank” up to 10% of their 2012 requirement and use them in 2013 or 2014

Here is the full webinar from December 5th, 2012:

Maximizing SREC Returns

Posted December 12th, 2012 by SRECTrade.

Who is watching your SREC account? We came across the story of a municipality that fell behind on managing its SREC account and had to implore large commercial and municipal solar owners to consider joining the 80+ MW of customers in our aggregation services!

A recent New Jersey article about a township and the SRECs that their Water Utility Division was selling titled “Water utility expected to rake in close to $100,000 to benefit ratepayers.” The utility expects to sell 1,500 SRECs that it has accrued since June of 2011. The market price today for those SRECs is roughly $80. So yes, that does result in over $100,000 in SREC revenue.

That said, the article could also be titled “Water utility loses close to $180,000 in SREC value” because if it had been selling its SRECs at market prices in regular intervals as they were issued since July of 2011, the total value of those SREC sales would have been over $280,000. And that does not even account for the time value of money.

Customers on the SRECTrade platform have their SREC accounts automatically updated and tracked to ensure that the SRECs are sold at regular intervals. We automate payments direct to bank accounts and even offer a service where we’ll actively manage the customers account. For a 500kW to 1MW facility, the customer would have paid a 1.0% in additional service fees on $280,000 in SREC transactions. In addition, if they had sold in our auction, the total fees, including the service fee, of 1.5%. That said, the fees don’t matter at all when a passive SREC management approach results in $180,000 in lost revenue!

If you have a commercial solar facility, you may feel like you can stay on top of the SREC market when you first get started, but it is not uncommon for other priorities to overshadow the management of your SRECs, two, five or ten years down the line. Especially in the case of municipalities, where approval processes can take forever. SRECTrade works with dozens of municipalities in a way that allows them to reduce the need for onerous approval processes, allowing them to stay on top of a rapidly changing SREC market. The fees are minimal and it is a no-brainer to make sure that you have someone ensuring that you are maximizing your returns!