Posts Tagged ‘SRECs’

The Argument for SRECs

Posted October 16th, 2012 by SRECTrade.

Occasionally SRECTrade is asked to defend the efficacy of the SREC system. The harsh drop in SREC prices over the last several months in New Jersey and the long-term outlook for Pennsylvania are sobering examples of SREC market volatility. A recent guest post on Greentechmedia itemized the viewpoint that the structure of SREC markets (in their current form) are detrimental to the distributed solar industry. While we agree that the SREC subsidy mechanism is complicated and can be improved upon we also think SRECs are the best option proposed to date. Like the Winston Churchill quote on democracy we say “SRECs are the worst form of incentive except all of the others that have been tried.”

So far we’ve been presented with two production-based options for subsidizing the solar industry: 1) feed-in-tariffs (FITs) and 2) solar renewable energy credits (SRECs). It is our opinion that non-production based incentives (read grants and tax credits) are a poor method for incentivizing solar as they focus on capacity without regard for long-term optimization and maintenance of the systems to maximize lifetime electricity production.

At their most basic level, FITs are fixed electricity rate guarantees to project owners above the cost of non-solar electricity. FITs typically operate independent of a market. SRECs are a market-based incentive that fluctuate in value depending on supply and demand factors and are traded separately from the actual electricity produced. The idea is that SREC pricing should reflect a market’s need for the subsidy. Below we use some of the concerns we’ve heard voiced about SRECs to underline why they are the best option we have for now.

SRECs Enhance Risk – By definition SREC markets are risky because un-contracted SRECs do not have a fixed price. These risks should be factored into any solar investment in the SREC market states. The problem is that the solar industry ignores huge risks posed by other subsidy schemes and focuses on SREC risk instead. For example, FITs were seen by project finance players as a risk-free long-term contract subsidy until places like Spain, in an effort to control unforeseen costs, retroactively applied production caps for payments far below actual power production and wiped out the economics from under the feet of existing solar systems.

With SRECs you have an independently tradable asset that allows you to sign contracts with counterparties that can be evaluated using standard commercial risk techniques.  With a FIT you’re subject to the whim of a government that may be elected several years from today concerned with cutting “excess” costs. Additionally, solar subsidies tied to payment for actual electricity production (SRECs are traded independent of the sale of solar electricity) are subject to the risk that utilities will impose creative methods to recapture their costs. For example utilities have tried to impose punitive standby charges (recently been attempted in NJ, AZ, CA, and VA), and the tiered residential tariff structure that has driven the CA market is always subject to change. Even the 1603 cash grant in lieu of the investment tax credit (ITC) is subject to claw back, so not even the grant incentive is risk-free. The bottom line is that SREC risk is known at the outset and therefore can be managed, and in fact may be the least “risky” part of the investment.

SREC markets don’t balance themselves- Again, SREC markets aren’t perfect. The long latency between market signals and impacts on build rates are a weakness that market systems like the Massachusetts SREC market are attempting to improve. SREC markets could also be improved in this regard policy adjustments like requiring traditional electricity suppliers (the “natural” buyers of SRECs) to meet compliance requirements throughout the year, among other things. A FIT, on the other hand, is a government determined rate that is almost by definition going to be either set too high, which will give windfall profits to developers, or too low which won’t provide enough incentive to produce the desired result. A grant is an even blunter policy instrument. The compounding impact of the 1603 cash grant and state and local grant programs are large contributors to “failed” SREC markets like PA.

SRECs are too complicated- We spend a good amount of time trying to simplify and explain SREC markets, so we understand this criticism but also understand that there is almost an inverse correlation between complexity and maximum effectiveness with minimal cost. We can make it dead simple but ineffective and costly, or a little more complicated and more cost effective. An SREC program allows those who want simplicity to trade off a slightly lower return in exchange for SRECTrade or other SREC service providers to manage all the complexity of SRECs for them. Those who want to maximize returns can manage that complexity themselves. FITS and grants don’t offer this degree of flexibility and cost effectiveness.

Some Parties Bear Disproportionate Amounts of Risk- In a fully functioning market, aggregated groups of smaller players can sign up for the same contracts as larger projects, and this has been the case for some time in most of the SREC markets. This means market price is almost solely determined by aggregate supply and demand, making it hard for a single competitive supplier to have outsize influence against the aggregated supply of a company like SRECTrade.

We acknowledge that there are market inefficiencies at play that allow larger solar developers advantages, but these advantages can be mitigated through tiered mechanisms like those seen in the Delaware SREC Procurement Program where residential and solar commercial facility owners do not compete against large, sophisticated facility owners and developers.

SRECs Guarantee a Certain Amount of Added Cost- Any incentive program has administrative costs. If you use a FIT or rebate program then it will likely be administered by a regulated utility or government agency, neither of which have any competition to compel them to drive down costs. While SREC markets require aggregators and brokers, these are themselves competitive markets where service providers are incentivized to minimize their cost in order to be able to compete for customers on price.

SREC programs aren’t perfect by any means, but in our opinion they’re the best we’ve got and the proof is in the results. California is often cited as a counter-model the SREC system, but New Jersey (the largest SREC market) overtook California as the state with the most MW of solar installed the first quarter of this year, all the more amazing when you consider that CA has four times the population and a green reputation.

NREL Project Shows Solar Installations Over Time: Underlines Role of State Incentives

Posted October 4th, 2012 by SRECTrade.

At SRECTrade we spend most of our time thinking about SRECs and how to effectively manage their creation and sale. We deal with a relatively abstract concept and are sometimes left wondering after a particularly long day of answering client questions and crunching data sets, what all of this stuff means on the ground. That’s why we really like the National Renewable Energy Laboratory’s (NREL) Open PV  Project, in particular the Solar PV Installations Over Time graphic that they’ve produced.

NREL shows PV installations from 2000 to 2012 by intensity (presumably driven by capacity installed) and location. The visualization is fascinating because it can be read as a story about the growth of the US solar industry over the last decade from both a policy and resource perspective.

Solar is concentrated around population centers where it’s needed most
The distributed, non-centralized aspects of solar are much discussed.  Solar can be deployed right at the load on a home or business without the adverse environmental impact of doing the same thing with say a coal-fired power plant. The NREL visualization proves the distributed nature of solar  in practice at a national level. Over time it appears that solar installations are predominantly clustered in zones that mimic areas of high population. This is evidenced in the early years where most solar capacity is installed in California around the high-density populations zones of the Bay Area and southern California cities. For rough comparison see the map of solar installed as of 2012 relative to the population density map below.

Filler

Source: https://www.census.gov/geo/www/mapGallery/2kpopden.html, “2000 Population Distribution in the United States”

Source: https://openpv.nrel.gov/time-mapper, “Solar Installations Over Time”

Solar deployment is driven by state-level policies
Solar deployment can also be tied to both federal and state-level energy policies that were enacted over the last decade (Energy Policy Act of 2005, the Federal 1603 Grant, California Solar Initiative, and SREC markets among myriad others) but the deployment seems to concentrate in some areas over others, suggesting that local and state factors outweigh the current federal incentive structure.  Viewing the NREL visualization it looks like solar installation activity from 2000 to 2004 is predominantly in California  with flashes of activity in Florida, the Rocky Mountain West,  Minnesota/ Wisconsin, and  the Tennessee Valley Authority region. By 2007 solar installations appear to be widespread around major population centers around the country.  The mid-Atlantic and the northeast states appear to explode as their SREC markets come on line in the mid-2000s, while other areas seem to slow down.

As an SREC company we know that each SREC market, dictated by the state policies that created the program, is different from the next. So perhaps not surprisingly we get phone calls and emails on a daily basis asking us about opportunities in states without a comprehensive solar policy such as an SREC program. Our stock answer to suggest that stakeholders reach out to their state legislatures and engage with grassroots activist groups like the Vote Solar Initiative. SREC markets are by no means perfect, but they are a key tool for states to drive solar development in the absence of a national standard. The evidence is in the results. The end of the NREL visualization shows the SREC market states (DC, DE, MA, MD, NJ, OH and PA) covered in solar.

New York Solar Legislation Update

Posted September 21st, 2012 by SRECTrade.

A series of bipartisan bills were signed by Governor Andrew Cuomo on August 20th aimed at supporting business and homeowner investments in solar energy.  We outline the bills below.

Bill 34-B, expands the 25% tax credit for non- 3rd party owners, lessees, and PPA off takers. The credit does not exceed $3,750 for “qualified solar energy system equipment expenditures” before September 1st, 2006 or $5,000 on “qualified solar energy system equipment expenditures” after September 1st 2006. Qualified solar expenditures include:

A) Solar equipment installed on a property in the state and is the principal residence of the taxpayer at the time of install.

B) A solar equipment lease of at least 10 years in New York and is the principal residence of the taxpayer at the time of install.

C) Power purchase agreement spanning at least 10 years in New York and is the principal residence of the taxpayer at the time of install.

D) The expenditures connected with installation and labor.

E) This does not include the interest or other finance charges of solar equipment purchase.

Bill A10620 allows a property tax abatement over a “compliance period” of four years available to solar-generating systems installed in cities of one million people or more. The bill covers:

A)  Installations before January 1st 2011 can receive a tax credit that is the lesser of:

    1. 8.75% of facility cost
    2. 8.75% total amount of taxes payable
    3. $62,500

B) Installations on or after January 1st 2011 and before January 1st 2013 can receive a tax credit that is the lesser of:

    1. 5% of facility cost
    2. 5% total amount of taxes payable
    3. $62,500

C) Installations on or after January 1st 2013 but before or on January 1st 2015 can receive a tax credit that is the lesser of:

    1. 2.5% of facility cost
    2. 2.5% total amount of taxes payable
    3. $62,500

Senate Bill S03203 exempts commercial solar energy system installation costs from state sales tax obligations. Additionally Senate Bill S03203 gives municipalities the power to grant certain systems a tax exemption.

On another note, the much anticipated, “NY Solar Jobs Act” legislation, formally bill A05713 has been watered down under a renamed Assembly Bill  A09149.  This new bill, proposed by Assemblyman Steven Englebright eliminates language creating a state-wide SREC market due to push back from the New York Senate and Governor’s office. Representatives from Steven Englebright’s office, maintain “cautious optimism” that the bill will gain support when the 2013 Legislative Session begins in January. As of September 7th,  the “Solar Jobs Act” is searching for a Senate sponsor.

Analysis of the bill can be found on VoteSolar.org here. The bill sets a solar target of 670 MW in 2015 and ramps up to 3,000 MW in 2021 but segments goals in to three separate requirements, based on type of utility. The bill allows the utilities the ability to define how they plan to achieve the solar mandate and does not specify interim solar requirements between 2015 and 2021.

 Utility Type  2015  2021
 Investor Owned Utilities (IOUs)  270 MW  900 MW
 New York Power Authority  120 MW  400 MW
 Long Island Power Authority  150 MW  500 MW

Solar Capacity in the SREC States – August 2012

Posted September 12th, 2012 by SRECTrade.

SRECTrade SREC Markets Report: August 2012

The following post outlines the megawatts of solar capacity certified and/or registered to create SRECs in the Solar REC markets SRECTrade currently serves.

A PDF copy of this table can be found here.

PJM Eligible Systems

As of this writing, there were 28,155 solar PV and 437 solar thermal systems registered and eligible to create SRECs in the PJM Generation Attribute Tracking System (GATS). Of these eligible systems, 185 (0.65%) have a nameplate capacity of 1 megawatt or greater, of which 18 systems are greater than 5 MW. The largest system, the PSE&G utility pole mount project located in New Jersey, is 25.1 MW, and the second largest, located in Maryland is 16.1 MW. The third largest system, at 12.5 MW, is located in New Jersey.

Delaware: The reporting year 2012 (6/1/12 – 5/31/13) requirement for DE equates to approximately 48,100 SRECs being retired. If all retired SRECs were of DE2012 vintage, approximately 40.1 MW would need to be operational all year long. As of September 11, 2012, 28.8 MW of solar capacity was registered and eligible to create DE SRECs in PJM GATS. As of September 11, 2012, PJM GATS reported the issuance of approximately 5,900 DE2012.  Additional SRECs from prior eligible periods may also impact the market should there be a demand for these older vintage SRECs.

Maryland: As of September 11, 2012, 72.5 MW of MD sited solar capacity was registered to create MD eligible SRECs. A large increase came from a 16.1 MW project Constellation Energy commissioned at Mount St. Mary’s University. The 2012 reporting year requirement for MD equates to approximately 67,310 SRECs being retired. If all retired SRECs were of MD2012 vintage, approximately 56.1 MW would need to be operational all year long. As of September 11, 2012, PJM GATS reported the issuance of approximately 41,800 MD2012 SRECs. Lastly, there are MD sited SRECs available from prior eligible periods, which could be utilized for compliance needs in 2012.

New Jersey: The New Jersey 2012 and 2013 reporting years require 442,000 and 596,000 eligible SRECs, respectively. For 2012, this equates to approximately 368 MW of capacity being operational all year long and 496.7 MW for 2013, assuming all requirements were met with current vintage year SRECs. As of September 11, 2012, 843.3 MW of solar capacity was registered and eligible to create NJ SRECs in PJM GATS. While this figure represents all projects registered in GATS, there are recently installed projects awaiting issuance of a New Jersey state certification number. This delay results in a portion of installed projects not yet represented in the 843.3 MW figure. As of July 31, 2012 the NJ Office of Clean Energy (NJ OCE) reported that 852.7 MW of solar had been installed in NJ. Estimates for August 2012 show a total of 876.0 MW. On July 23, NJ Governor, Chris Christie, signed into law legislation to increase the Solar RPS requirements. For details see the following: NJ Governor Christie Signs Bill to Increase Solar Requirements. As of September 11, 2012, PJM GATS reported the issuance of approximately 699,200 NJ2012 SRECs. This figure surpasses the current 2012 compliance year requirement of 442,000 SRECs by approximately 257,200 SRECs. Additionally, the second month of RY2013 generation was issued at the end of August. GATS reported a total of 196,700 total NJ2013 SRECs for the compliance year to date were issued; approximately 33% of the current year’s obligation (not considering the eligible oversupply from NJ2012).

Ohio: Ohio’s 2012 RPS solar target requires approximately 95,300 SRECs to be retired by the end of the compliance period. At least 50% of the SREC requirement must come from systems sited in the state. As of September 11, 2012, 50.2 MW of in-state capacity and 96.7 MW of out-of-state capacity were eligible to generate OH SRECs. As of September 11, 2012, GATS issued approximately 40,400 in-state and 71,900 out-of-state OH2012 eligible SRECs. Additional SRECs from prior years are also eligible for the current compliance period, which may impact the current year’s requirements.

Pennsylvania: The reporting year 2012 and 2013 requirements for PA equates to retiring approximately 49,450 and 78,750 eligible SRECs, respectively. If all compliance obligations were met using 2012 and 2013 vintage SRECs, approximately 41.2 and 65.6 MW would need to be operational all year long within each compliance period. As of September 11, 2012, 222.4 MW of solar capacity was registered and eligible to create PA compliant SRECs. As of September 11, 2012, PJM GATS reported the issuance of approximately 220,000 PA2012 SRECs. Given the oversupply during previous reporting years, there are also SRECs from the 2010 and 2011 reporting years eligible for the PA2012 compliance period. Additionally, as of September 11, 2012 GATS reported approximately 52,000 PA2013 SRECs were issued.

Washington, DC: DC’s 2012 RPS amended solar target requires approximately 61,180 SRECs to be retired by the end of the compliance period. The figures displayed above demonstrate the capacity of systems eligible to create DC SRECs moving forward. These SREC and capacity figures do not take into consideration the amount of electricity delivered into the district that may be exempt from complying with the Distributed Generation Amendment Act increases, considering some electricity contracts may have been signed prior to the amendment’s implementation. As of September 11, 2012, 24.4 MW of capacity was eligible to generate DC SRECs. Additionally, as of September 11, 2012, GATS reported the issuance of approximately 18,000 DC2012 eligible SRECs. SRECs from prior years are also eligible for the current compliance period, which may impact the current year’s requirements.

Massachusetts DOER Qualified Projects

As of September 11, 2012, there were 3,134 MA DOER qualified solar projects; 3,118 operational and 16 not operational. Total qualified capacity is 121.3 MW, 110.4 of which is operational and 10.9 MW not operational. Electricity suppliers providing power to the state need to acquire approximately 73,400 SRECs in 2012. According to NEPOOL GIS, 14,479 Q1 2012 SRECs were issued on July 15, 2012. Additionally, 53,359 MWhs were reported to the MassCEC production tracking system for the 5 months covering April-August 2012.

Capacity Summary By State

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 needs approximately 368 MW online for the entire 2012 reporting year to meet the RPS requirement with 2012 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 based on EIA Report updated 11/15/11 “By End-Use Sector, by State, by Provider”. 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.

Solar Capacity in the SREC States – July 2012

Posted August 8th, 2012 by SRECTrade.

SRECTrade SREC Markets Report: July 2012

The following post outlines the megawatts of solar capacity certified and/or registered to create SRECs in the Solar REC markets SRECTrade currently serves.

A PDF copy of this table can be found here.

PJM Eligible Systems

As of this writing, there were 27,262 solar PV and 369 solar thermal systems registered and eligible to create SRECs in the PJM Generation Attribute Tracking System (GATS). Of these eligible systems, 180 (0.65%) have a nameplate capacity of 1 megawatt or greater, of which 17 systems are greater than 5 MW. The largest system, the PSE&G utility pole mount project located in New Jersey, is 25.1 MW, and the second largest, located in New Jersey is 12.5 MW. The third largest system, at 12 MW, is located in Ohio.

Delaware: The reporting year 2012-13 (6/1/12 – 5/31/13) requirement for DE equates to approximately 48,100 SRECs being retired. If all retired SRECs were of DE2012-13 vintage, approximately 40.1 MW would need to be operational all year long. As of August 7, 2012, 28.5 MW of solar capacity was registered and eligible to create DE SRECs in PJM GATS. As of August 7, 2012, PJM GATS reported the issuance of approximately 4,300 and 32,500 DE2012-13 and DE2011-12 SRECs, respectively.  Additional SRECs from prior eligible periods may also impact the market should there be a demand for these older vintage SRECs.

Maryland: As of August 7, 2012, 54.6 MW of MD sited solar capacity was registered to create MD eligible SRECs. The 2012 reporting year requirement for MD equates to approximately 67,310 SRECs being retired. If all retired SRECs were of MD2012 vintage, approximately 56.1 MW would need to be operational all year long. As of August 7, 2012, PJM GATS reported the issuance of approximately 31,200 MD2012 SRECs. Lastly, there are MD sited SRECs available from prior eligible periods, which could be utilized for compliance needs in 2012.

New Jersey: The New Jersey 2012 and 2013 reporting years require 442,000 and 596,000 eligible SRECs, respectively. For 2012, this equates to approximately 368 MW of capacity being operational all year long and 496.7 MW for 2013, assuming all requirements were met with current vintage year SRECs. As of August 7, 2012, 818.3 MW of solar capacity was registered and eligible to create NJ SRECs in PJM GATS. While this figure represents all projects registered in GATS, there are recently installed projects awaiting issuance of a New Jersey state certification number. This delay results in a portion of installed projects not yet represented in the 818.3 MW figure. As of June 30, 2012 the NJ Office of Clean Energy (NJ OCE) reported that 831.6 MW of solar had been installed in NJ. On July 23, NJ Governor, Chris Christie, signed into law legislation to increase the Solar RPS requirements. For details see the following: NJ Governor Christie Signs Bill to Increase Solar Requirements. As of August 7, 2012, PJM GATS reported the issuance of approximately 689,600 NJ2012 SRECs. This figure surpasses the current 2012 compliance year requirement of 442,000 SRECs by approximately 247,600 SRECs. Additionally, the first month of RY2013 generation was issued at the end of July. GATS reported 95,270 NJ2013 SRECs were issued; approximately 16% of the current year’s obligation (not considering the eligible oversupply from NJ2012).

Ohio: Ohio’s 2012 RPS solar target requires approximately 95,300 SRECs to be retired by the end of the compliance period. At least 50% of the SREC requirement must come from systems sited in the state. As of August 7, 2012, 50.0 MW of in-state capacity and 94.0 MW of out-of-state capacity were eligible to generate OH SRECs. As of August 7, 2012, GATS issued approximately 32,190 in-state and 58,630 out-of-state OH2012 eligible SRECs. Additional SRECs from prior years are also eligible for the current compliance period, which may impact the current year’s requirements.

Pennsylvania: The reporting year 2012 and 2013 requirements for PA equates to retiring approximately 49,450 and 78,750 eligible SRECs, respectively. If all compliance obligations were met using 2012 and 2013 vintage SRECs, approximately 41.2 and 65.6 MW would need to be operational all year long within each compliance period. As of August 7, 2012, 220.8 MW of solar capacity was registered and eligible to create PA compliant SRECs. As of August 7, 2012, PJM GATS reported the issuance of approximately 199,000 PA2012 SRECs. Given the oversupply during previous reporting years, there are also SRECs from the 2010 and 2011 reporting years eligible for the PA2012 compliance period. Additionally, the first month of PA2013 generation was issued at the end of July. GATS reported approximately 26,400 PA2013 SRECs were issued.

Washington, DC: DC’s 2012 RPS amended solar target requires approximately 61,180 SRECs to be retired by the end of the compliance period. The figures displayed above demonstrate the capacity of systems eligible to create DC SRECs moving forward. These SREC and capacity figures do not take into consideration the amount of electricity delivered into the district that may be exempt from complying with the Distributed Generation Amendment Act increases, considering some electricity contracts may have been signed prior to the amendment’s implementation. As of August 7, 2012, 24.2 MW of capacity was eligible to generate DC SRECs. Additionally, as of August 7, 2012, GATS reported the issuance of approximately 15,000 DC2012 eligible SRECs. SRECs from prior years are also eligible for the current compliance period, which may impact the current year’s requirements.

Massachusetts DOER Qualified Projects

As of August 10, 2012, there were 2,651 MA DOER qualified solar projects; 2,634 operational and 17 not operational. Total qualified capacity is 109.9 MW, 98.9 of which is operational and 11.0 MW not operational. Electricity suppliers providing power to the state need to acquire approximately 73,400 SRECs in 2012. According to NEPOOL GIS, 14,479 Q1 2012 SRECs were issued on July 15, 2012. Additionally, 38,623 MWhs were reported to the MassCEC production tracking system for the 4 months covering April-July 2012.

Capacity Summary By State

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 needs approximately 368 MW online for the entire 2012 reporting year to meet the RPS requirement with 2012 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 based on EIA Report updated 11/15/11 “By End-Use Sector, by State, by Provider”. 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.

Solar Capacity in the SREC States – June 2012

Posted July 10th, 2012 by SRECTrade.

SRECTrade SREC Markets Report: June 2012

The following post outlines the megawatts of solar capacity certified and/or registered to create SRECs in the Solar REC markets SRECTrade currently serves.

A PDF copy of this table can be found here.

PJM Eligible Systems

As of this writing, there were 26,797 solar PV and 351 solar thermal systems registered and eligible to create SRECs in the PJM Generation Attribute Tracking System (GATS). Of these eligible systems, 170 (0.63%) have a nameplate capacity of 1 megawatt or greater, of which 17 systems are greater than 5 MW. The largest system, the PSE&G utility pole mount project located in New Jersey, is 25.1 MW, and the second largest, located in New Jersey is 12.5 MW. The third largest system, at 12 MW, is located in Ohio.

Delaware: The reporting year 2011-12 (6/1/11 – 5/31/12) requirement for DE equates to approximately 23,700 SRECs being retired. If all retired SRECs were of DE2011-12 vintage, approximately 19.8 MW would need to be operational all year long. As of July 9, 2012, 28.3 MW of solar capacity was registered and eligible to create DE SRECs in PJM GATS. 11.2 MW of the 28.3 MW currently eligible is from the Dover Sun Park project developed by LS Power. In the 2011-12 compliance year, Delmarva Power has contracted to purchase 9,846 SRECs from the project, of which 7,000 are being held by the Sustainable Energy Utility (SEU) until 2015-16*. Additionally, in April 2012 the DE SREC Pilot Program closed its first solicitation. As of July 10, 2012, PJM GATS reported the issuance of approximately 31,700 DE2011-12 vintage SRECs. Additional SRECs from prior eligible periods may also impact the market should there be a demand for these older vintage SRECs.

Maryland: As of July 9, 2012, 53.0 MW of MD sited solar capacity was registered to create MD eligible SRECs. 2012 Solar RPS requirements are estimated at 56.1 MW or approximately 67,310 SRECs. MD Governor, Martin O’Malley recently signed into law legislation to pull forward the RPS requirements. The state has seen an average over the last twelve months of 2.7 MW added per month in PJM GATS. While this figure is made up of predominately residential and commercial projects, on July 7, 2012, First Solar announced the groundbreaking of its development of a 20 MW facility in Hagerstown, MD. Additionally, Constellation Energy is in the process of constructing a 17.4 MW facility at Mount St. Mary’s University. As of July 10, 2012, PJM GATS reported the issuance of approximately 22,600 MD2012 SRECs. Lastly, there are MD sited SRECs available from prior eligible periods, which could be utilized for compliance needs in 2012.

New Jersey: The New Jersey 2012 reporting year requires 442,000 SRECs to be retired. This equates to approximately 368 MW of capacity being operational all year long, assuming all requirements were met with current vintage year SRECs. As of July 9, 2012, 789.8 MW of solar capacity was registered and eligible to create NJ SRECs in PJM GATS. While this figure represents all projects registered in GATS, there are recently installed projects awaiting issuance of a New Jersey state certification number. This delay results in a portion of installed projects not yet represented in the 789.8 MW figure. As of April 30, 2012 the NJ Office of Clean Energy (NJ OCE) reported that 770.0 MW of solar had been installed in NJ. Additionally, estimates through June 2012 show 831.6 MW of total installed capacity. On June 25 the NJ House and Senate passed legislation to increase the state’s Solar RPS. For details see the following: A Break in the Clouds? – NJ Legislature Passes S1925/A2966. As of July 10, 2012, PJM GATS reported the issuance of approximately 671,500 NJ2012 SRECs. This figure surpasses the current 2012 compliance year requirement of 442,000 SRECs by approximately 230,000 SRECs.

Ohio: Ohio’s 2012 RPS solar target requires approximately 95,300 SRECs to be retired by the end of the compliance period. At least 50% of the SREC requirement must come from systems sited in the state. As of July 9, 2012, 49.3 MW of in-state capacity and 90.2 MW of out-of-state capacity were eligible to generate OH SRECs. As of July 10, 2012, GATS issued approximately 24,200 in-state and 44,200 out-of-state OH2012 eligible SRECs. Additional SRECs from prior years are also eligible for the current compliance period, which may impact the current year’s requirements.

Pennsylvania: The reporting year 2012 requirement for PA equates to retiring approximately 49,450 eligible SRECs. If all compliance obligations were met using 2012 vintage SRECs, approximately 41.2 MW would need to be operational all year long. As of July 9, 2012, 215.7 MW of solar capacity was registered and eligible to create PA compliant SRECs. As of July 10, 2012, PJM GATS reported the issuance of approximately 197,300 PA2012 SRECs. Given the oversupply during previous reporting years, there are also SRECs from the 2010 and 2011 reporting years eligible for the PA2012 compliance period.

Washington, DC: DC’s 2012 RPS amended solar target requires approximately 61,180 SRECs to be retired by the end of the compliance period. The figures displayed above demonstrate the capacity of systems eligible to create DC SRECs moving forward. These SREC and capacity figures do not take into consideration the amount of electricity delivered into the district that may be exempt from complying with the Distributed Generation Amendment Act increases, considering some electricity contracts may have been signed prior to the amendment’s implementation. As of July 9, 2012, 24.1 MW of capacity was eligible to generate DC SRECs. Additionally, as of July 10, 2012, GATS reported the issuance of approximately 11,400 DC2012 eligible SRECs. SRECs from prior years are also eligible for the current compliance period, which may impact the current year’s requirements.

Massachusetts DOER Qualified Projects

As of July 6, 2012, there were 2,397 MA DOER qualified solar projects; 2,377 operational and 20 not operational. Total qualified capacity is 89.8 MW, 80.3 of which is operational and 9.5 MW not operational. Electricity suppliers providing power to the state need to acquire approximately 73,400 SRECs in 2012. 40,034 MWh have been reported to the PTS during January – June 2012. The next issuance period for Q1 2012 SRECs will be on July 15, 2012. For a detailed update on MA capacity analysis as of the beginning of June see the following link.

Capacity Summary By State

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 needs approximately 368 MW online for the entire 2012 reporting year to meet the RPS requirement with 2012 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.

*Source: State of Delaware Pilot Program For the Procurement of Solar Renewable Energy Credits: Recommendations of the Renewable Energy Taskforce

Note: SREC requirements for markets without fixed SREC targets have been forecast based based on EIA Report updated 11/15/11 “By End-Use Sector, by State, by Provider”. 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.

Solar Capacity in the SREC States – May 2012

Posted June 11th, 2012 by SRECTrade.

SRECTrade SREC Markets Report: May 2012

The following post outlines the megawatts of solar capacity certified and/or registered to create SRECs in the Solar REC markets SRECTrade currently serves.

A PDF copy of this table can be found here.

PJM Eligible Systems

As of this writing, there were 25,753 solar PV and 340 solar thermal systems registered and eligible to create SRECs in the PJM Generation Attribute Tracking System (GATS). Of these eligible systems, 161 (0.62%) have a nameplate capacity of 1 megawatt or greater, of which 16 systems are greater than 5 MW. The largest system, the PSE&G utility pole mount project located in New Jersey, is 25.1 MW, and the second largest, located in New Jersey is 12.5 MW. The third largest system, at 12 MW, is located in Ohio.

Delaware: The reporting year 2011-12 (6/1/11 – 5/31/12) requirement for DE equates to approximately 23,700 SRECs being retired. If all retired SRECs were of DE2011-12 vintage, approximately 19.8 MW would need to be operational all year long. As of June 11, 2012, 28.2 MW of solar capacity was registered and eligible to create DE SRECs in PJM GATS. 11.2 MW of the 28.2 MW currently eligible is from the Dover Sun Park project developed by LS Power. In the 2011-12 compliance year, Delmarva Power has contracted to purchase 9,846 SRECs from the project, of which 7,000 are being held by the Sustainable Energy Utility (SEU) until 2015-16*. Additionally, the DE SREC Pilot Program solicitation recently closed its first solicitation. As of June11, 2012, PJM GATS reported the issuance of approximately 27,300 DE2011-12 vintage SRECs. Additional SRECs from prior eligible periods may also impact the market should there be a demand for these older vintage SRECs.

Maryland: The end of February marked the first issuance period of MD2012 SRECs in PJM GATS. As of June 11, 2012, 50.3 MW of MD sited solar capacity was registered to create MD eligible SRECs. 2012 Solar RPS requirements are estimated at 56.1 MW or approximately 67,310 SRECs. MD Governor, Martin O’Malley recently signed into law legislation to pull forward the RPS requirements. As of June 11, 2012, PJM GATS reported the issuance of approximately 15,800 MD2012 SRECs. Additionally, all out-of-state MD systems are no longer eligible to produce MD certified SRECs and their MD certification numbers have been removed from their systems in PJM GATS. Lastly, there are MD sited SRECs available from prior eligible periods, which could be utilized for compliance needs in 2012.

New Jersey: The New Jersey 2012 reporting year requires 442,000 SRECs to be retired. This equates to approximately 368 MW of capacity being operational all year long, assuming all requirements were met with current vintage year SRECs. As of June 11, 2012, 756.5 MW of solar capacity was registered and eligible to create NJ SRECs in PJM GATS. While this figure represents all projects registered in GATS, there are recently installed projects awaiting issuance of a New Jersey state certification number. This delay results in a portion of installed projects not yet represented in the 756.5 MW figure. As of April 30, 2012 the NJ Office of Clean Energy (NJ OCE) reported that 770.0 MW of solar had been installed in NJ. Additionally, estimates through May 2012 show 802.3 MW of total installed capacity. For more information on the status of the NJ market and information on the expected legislation to adjust the Solar RPS see the following: New Jersey Legislation Update: A2966. As of June 11, 2012, PJM GATS reported the issuance of approximately 558,400 NJ2012 SRECs. This figure surpasses the current 2012 compliance year requirement of 442,000 SRECs by approximately 116,000 SRECs. Given current installed capacity, we estimate the market will be oversupplied by more than 200,000 NJ2012 SRECs.

Ohio: Ohio’s 2012 RPS solar target requires approximately 95,300 SRECs to be retired by the end of the compliance period. At least 50% of the SREC requirement must come from systems sited in the state. As of June 11, 2012, 49.0 MW of in-state capacity and 89.3 MW of out-of-state capacity were eligible to generate OH SRECs. A large increase of in-state capacity recently came from a 9.8 MW project sited at the Campbell Soup facility in Napoleon, OH. As of June 11, 2012, GATS issued approximately 16,400 in-state and 33,000 out-of-state OH2012 eligible SRECs. Additional SRECs from prior years are also eligible for the current compliance period, which may impact the current year’s requirements.

Pennsylvania: The reporting year 2012 requirement for PA equates to retiring approximately 49,450 eligible SRECs. If all compliance obligations were met using 2012 vintage SRECs, approximately 41.2 MW would need to be operational all year long. As of June 11, 2012, 213.2 MW of solar capacity was registered and eligible to create PA compliant SRECs. As of June 11, 2012, PJM GATS reported the issuance of approximately 174,000 PA2012 SRECs. Given the oversupply during previous reporting years, there are also SRECs from the 2010 and 2011 reporting years eligible for the PA2012 compliance period. For an update on HB1580 to increase the Solar RPS requirements, see the following link.

Washington, DC: DC’s 2012 RPS amended solar target requires approximately 61,180 SRECs to be retired by the end of the compliance period. The figures displayed above demonstrate the capacity of systems eligible to create DC SRECs moving forward. These SREC and capacity figures do not take into consideration the amount of electricity delivered into the district that may be exempt from complying with the Distributed Generation Amendment Act increases, considering some electricity contracts may have been signed prior to the amendment’s implementation. As of June 11, 2012, 24.1 MW of capacity was eligible to generate DC SRECs. Additionally, as of June 11, 2012, GATS reported the issuance of approximately 8,600 DC2012 eligible SRECs. SRECs from prior years are also eligible for the current compliance period, which may impact the current year’s requirements.

Massachusetts DOER Qualified Projects

As of June 7, 2012, there were 2,213 MA DOER qualified solar projects; 2,184 operational and 29 not operational. Total qualified capacity is 84.4 MW, 74.2 of which is operational and 10.2 MW not operational. Electricity suppliers providing power to the state need to acquire approximately 73,400 SRECs in 2012. 29,017 MWh have been reported to the PTS during January – May 2012. The next issuance period for Q1 2012 SRECs will be on July 15, 2012.

Capacity Summary By State

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 needs approximately 368 MW online for the entire 2012 reporting year to meet the RPS requirement with 2012 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.

*Source: State of Delaware Pilot Program For the Procurement of Solar Renewable Energy Credits: Recommendations of the Renewable Energy Taskforce

Note: SREC requirements for markets without fixed SREC targets have been forecast based based on EIA Report updated 11/15/11 “By End-Use Sector, by State, by Provider”. 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.

Maryland Solar Bills S.B. 791 and H.B. 1187 Signed Into Law

Posted May 22nd, 2012 by SRECTrade.

Today, Maryland Solar Bills S.B. 791 and H.B. 1187 were signed into law by Maryland Governor Martin O’Malley.

The passage of these bills will increase the near term Solar Renewable Portfolio Standard (RPS) requirements and reach the state’s 2% solar target two years ahead of the original RPS schedule; compliance year 2020 instead of 2022. The RPS requirements will increase beginning in the 2013 compliance year (January 2013 – December 2013).

Estimates show that the 2013 RPS increase equates to approximately 34,150 more SRECs required in 2013 under the new bills. This represents an additional 28.5 MW of solar capacity required, assuming all 2013 RPS requirements are meet using only 2013 vintage SRECs. After 2013, the RPS requirements continue to increase over the old goals, with some of the largest requirement increases estimated to begin in 2016 and onward.

As of the April 2012 SRECTrade Solar Capacity Update, total eligible Maryland solar capacity reached 45.6 MW. Based on projects registered in PJM GATS, over the last twelve months average MW capacity added per month has been 2.6 MW. The 2012 compliance year requires approximately 67,310 SRECs to be retired. As of May 11, 2012, PJM GATS reported the issuance of approximately 10,200 MD2012 SRECs. Under the new requirements, it is estimated that the MD2013 Solar RPS will require 170,800 SRECs, the equivalent of 142.3 MW operational all year long assuming only 2013 vintage SRECs are utilized to meet the state’s SREC targets.

Last minute push to revive Pennsylvania HB 1580

Posted May 21st, 2012 by SRECTrade.

**Update: As of this writing (Tuesday, June 12th) HB 1580 has not gone up for vote. However, the PA legislator extended the legislation session through the end of June, allowing for some hope that with enough grassroots pressure from supporters of the PA solar industry the bill will go up for vote. PASEIA encourages supporters of HB 1580 to continue to call into the offices of the PA House leadership. The applicable phone numbers are listed below. 

A coalition of solar industry groups led by PASEIA, SEIA, PennFuture and Vote Solar are making one last push to revive Pennsylvania House Bill (HB) 1580 before the close of the work week on Friday, 5/25. HB 1580 was first introduced in October 2011 by Rep. Chris Ross (R-Chester) as a fix for what many in the PA solar industry view as an SREC market with prices trading at unsustainable levels. The bill’s core proposal is to move forward the Pennsylvania SREC requirement by three years – effectively accelerating SREC requirements in an attempt to stabilize the market. A hearing was held in the Pennsylvania House Consumer Affairs Committee in January 2012 and 108 (enough to pass the bill in the House) committed to vote for the bill if it passed out of committee. Lobbyists were also able to garner a substantial amount of support in the Senate.

Why hasn’t the bill passed yet?

Despite the January hearing on HB 1580 the bill was never put up for vote in the House Consumer Affairs Committee. The decision to do so is the responsibility of Committee Chair Rep. Bob Godshall (R-Montgomery) who has taken counsel from stakeholders both for and against the bill.  The coalition of groups supporting HB 1580 emphasize in their communication with stakeholders that HB 1580 is meant to provide support for jobs created by the nascent Pennsylvania solar industry at little to no additional cost to ratepayers. However, the Pennsylvania Chamber of Commerce along along with other groups representing natural gas and other interests are opposed to the bill.  Furthermore, strong pressure for and against the bill has made it a tough topic to address amid the latest election cycle.

Another push

Pennsylvania stakeholders that support HB 1580 have the option to lobby key members of the Pennsylvania legislator to get the bill put up for vote. HB 1580 advocates are encouraged to call the following three members of the PA House leadership.

Last Chance to Sell MA 2011 SRECs

Posted May 18th, 2012 by SRECTrade.

On July 15, 2012 the first 2012 vintage MA SRECs will be minted. To date, all transactions of MA SRECs in 2012 have been for 2011 vintage SRECs. Short of something unanticipated the 2011 market will remain under-supplied and MA 2011 SRECs (if they have not yet been sold) should continue to sell close to SACP pricing.

The DOER recently issued a press release reminding SREC sellers that they have until June 15th to sell SRECs on the open market. Any SRECs not sold on the open market will need to be placed in the DOER’s “last chance” Solar Credit Clearinghouse Auction and put up for the sale at the mandated $300 per SREC offer. Remaining SRECs not placed in the auction will be automatically retired and will not be eligible for future transactions.

SRECs transacted through SRECTrade have consistently sold for $540 per SREC. Please do not hesitate to contact us if you are a seller with unsold Massachusetts SRECs.  For a history of MA SREC pricing in the SRECTrade auctions click here and scroll to the bottom of the page.