Posts Tagged ‘SRECs’

Why are Pennsylvania SREC prices so low?

Posted February 16th, 2012 by SRECTrade.

SRECTrade has printed auction prices for Pennsylvania ranging from a high of $310 in June 2010 and a low of $20 for SRECs created in the same energy year. The drop in Pennsylvania SREC prices is due to a severe over-supply of SRECs above the amount of SRECs that buyers (electricity producers) need to acquire each year, but how did the market become over-supplied and is anything being done to address the over-supply?

Background

The Pennsylvania SREC market was created as a state-level, long-term incentive for homeowners and businesses to go solar, but around the same time that the SREC market was created, other, more generous solar rebate programs like the Pennsylvania Sunshine Program were created that caused a short-term boom in solar installations. In addition to this, the Pennsylvania SREC market is one of two markets (OH is the other) that accept SRECs from out-of-state sited solar systems, including from states that don’t have their own SREC markets. This means that Pennsylvanians are effectively subsidizing solar in other states and ensuring that Pennsylvania SREC prices remain low.

The Proposed Fix

The Pennsylvania SREC market was created by the state legislature and amendments to the market must go through the legislature first. In the spring of 2011, Rep. Chris Ross (R-Chester) proposed House Bill (HB)-1580 to address some of the key factors behind low Pennsylvania prices. The crux of HB 1580 is a proposal to move up the SREC requirement by three years. This would mean that if the bill passed, Pennsylvania SREC requirements would increase beginning in 2013. A detailed schedule of the proposed increase can be found in the bill.

We’ve followed the progress of HB 1580 over the last year and periodically posted updates to our blog.  Most recently the bill went before the House Consumer Affairs Committee on January 11, 2012 where it met resistance from Committee Chair Rep. Bob Godshall (R-Montgomery) and various entrenched groups representing the Pennsylvania electricity industry. Since the January hearing Rep. Chris Ross has worked hard to develop compromise amedments to HB-1580 that might help the bill survive a tough Committee vote. If the bill makes it out of Committee it has 110 co-sponsors in the House and substantial Senate support in a companion bill.

According to PennFuture, a Pennsylvania environmental and renewable energy advocacy group, Ross’ proposed the following compromises:

  • Capping the Alternative Compliance Payment (ACP) for solar at $325, with a 2% annual decline
  • Offsetting early-year increases in the solar requirement with decreases in later years and extending the SREC program through 2026
  • Allowing solar hot water (SHW) systems to qualify for SREC sales
  • Making slight adjustments to the language of the in-state requirement, aimed at preventing net-metered systems from inadvertently being disqualified
  • Ensuring that utilities cannot procure any AEPS resource above the ACP price

What Can You Do?

Pennsylvania solar advocates are hoping that they can convince the House Consumer Affairs Committee to vote on HB 1580 when the legislature reconvenes in mid-March. If you are a Pennsylvania resident, please feel free to contact House Majority Leader Turzai at 717-772-9943 to express your support for seeing the bill go up for vote.

Solar Capacity in the SREC States – January 2012

Posted February 8th, 2012 by SRECTrade.

SRECTrade SREC Markets Report: January 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.

GATS Renewable Energy Generators 2_6_12_v1

PJM Eligible Systems

As of this writing, there were 22,172 solar PV and 285 solar thermal systems registered and eligible to create SRECs in the PJM Generation Attribute Tracking System (GATS). Of these eligible systems, 109 (0.49%) have a nameplate capacity of 1 megawatt or greater, of which 11 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 Ohio is 12 MW. The third largest system, at 11.2 MW, is located in Delaware.

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 February 6, 2012, 26.1 MW of solar capacity was registered and eligible to create DE SRECs in PJM GATS. 11.2 MW of the 26.1 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*. As of February 7, 2012, PJM GATS reported the issuance of approximately 15,500 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.

DE chart

Maryland: Maryland’s 2011 Solar RPS target requires approximately 33,160 SRECs to be retired. To meet this using only 2011 vintage SRECs, approximately 27.6 MW would need to be operational all year long. As of February 6, 2012, 63.9 MW of solar capacity was registered to create MD eligible SRECs. 39.2 MW of this capacity was sited in the state of MD. The RPS currently requires electricity suppliers to acquire SRECs from in-state sited solar systems before looking to outside systems. As of February 7, 2012, PJM GATS reported the issuance of approximately 34,100 MD2011 SRECs from MD sited systems. There are also MD sited SRECs available from prior eligible periods, which could be utilized for compliance needs in 2011.

MD Chart

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 if all requirements were met with current vintage year SRECs. As of February 6, 2012, 535.2 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 535.2 MW figure. As of December 31, 2011 the NJ Office of Clean Energy (NJ OCE) reported that 565.9 MW of solar had been installed in NJ. As of February 7, 2012, PJM GATS reported the issuance of approximately 282,500 NJ2012 SRECs.

NJ Chart

Ohio: Ohio’s 2011 RPS solar target requires approximately 46,940 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 February 6, 2012, 43.1 MW of in-state capacity and 76.7 MW of out-of-state capacity were eligible to generate OH SRECs. A large increase of in state capacity came from a 9.8 MW project sited at the Campbell Soup facility in Napoleon, OH. Additionally, as of February 7, 2012, GATS issued approximately 30,230 in-state and 71,000 out-of-state OH2011 eligible SRECs. Additional SRECs from prior years are also eligible for the current compliance period, which may impact the current year’s requirements.

OH Chart

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 February 6, 2012, 167.6 MW of solar capacity was registered and eligible to create PA compliant SRECs. As of February 7, 2012, PJM GATS reported the issuance of approximately 105,000 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.

PA chart

Washington, DC: DC’s 2011 RPS amended solar target requires approximately 48,220 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 February 6, 2012, 23.0 MW of capacity was eligible to generate DC SRECs. Additionally, as of February 7, 2012, GATS issued approximately 23,800 DC2011 eligible SRECs. SRECs from prior years are also eligible for the current compliance period, which may impact the current year’s requirements.

DC Chart

Massachusetts DOER Qualified Projects

As of January 25, 2012, there were 1,321 MA DOER qualified solar projects; 1,278 operational and 43 not operational. Total qualified capacity is 53.3 MW, 36.7 of which is operational and 16.6 not operational. Of these qualified systems, 12 (0.91%) have a nameplate capacity of 1 megawatt or greater, of which 4 are between 1.5 and 2 MW. Four of the projects greater than 1 MW are currently operational, with the largest, 2.3 MW, recently operational as of December 2011. Electricity suppliers providing power to the state need to acquire approximately 62,900 SRECs in 2011. Through the Q3 2011 issuance period (1/15/12), 19,257 SRECs have been minted. The Department of Energy Resources (DOER) projects approximately 29,000 SRECs to be generated in 2011, leaving the market short approximately 33,900 SRECs. The next issuance period for Q4 2011 SRECs will be on April 15, 2012.

MA Chart

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. For example, New Jersey needs approximately 368 MW online for the entire 2012 reporting year to meet the RPS requirement. 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.

February 2012 SREC Auction Results

Posted February 3rd, 2012 by SRECTrade.

SRECTrade’s February 2012 SREC Auction closed this week. Below are the clearing prices by vintage across the markets SRECTrade is currently active in.

February SREC Prices Energy Year Ending
State 2010 2011 2012*
Delaware $60.00
Maryland In-State $180.00 $205.00
Maryland Out-of-State
Massachusetts
New Jersey $205.00
Ohio In-State $285.00
Ohio Out-of-State $40.00
Pennsylvania $9.99 $30.00 $35.00
Washington, DC $275.00

Notes:
*Delaware, New Jersey and Pennsylvania operate on a June-May energy year.
Green text represents a price increase over the last auction clearing price for that vintage, red text represents a decrease.
“-” reflects no sale, which would result if there were no matching bids and offers that cleared for a sale in the auction.

State Market Observations:

Please note, all capacity references are from the December capacity analysis and reference the amount of supply registered as of the end of December. Additional details regarding SREC issuance are provided in the capacity analysis.

Delaware (Supply: 25.5 MW | Demand: 19.8 MW): Pricing was down from $65.00/SREC to $60.00. The Delaware PSC approved the SREC Procurement Pilot Program for long term contract solicitations which should commence in Q2. As of January 3, 2012, PJM GATS reported the issuance of approximately 13,560 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 (In-state Supply: 37.8 MW | Demand: 27.6 MW): SRECs held at $205 this past auction period.  MD2011 Out-of-State did not trade. The state continues on pace to maintain a balanced supply relative to demand for the compliance year.

Massachusetts (Operational Supply: 32.5 MW | Demand: 55.7 MW): There was no sale of MA SRECs this period as they were sold in the Quarterly SREC Auction in mid-January. The next quarterly MA SREC auction will close in mid-April.

New Jersey (Supply: 483.2 MW* | Demand: 368 MW): The 2012 market dropped back down to $205 after the state legislature failed to pass a Bill to increase the solar requirements. Inaction will lead to continued declines in pricing.

Ohio (In-State Supply: 29.0 MW; Out-of-state Supply: 68.0 MW | Demand: 39.1 MW) : OH2011 sited SRECs dropped to $285 with growing SREC supply from large in-state systems. The out-of-state SREC market increased again to $40/SREC.

Pennsylvania (Supply: 159.4 MW | Demand 41.2 MW): PA2011 SRECs traded up again to $30/SREC and PA2012 increased to $35/SREC.

Washington, DC (Supply: 21.7 MW | Demand: 41.9 MW): The 2011 DC SRECs increased to $275/SREC.

For historical pricing please see this link. The next SRECTrade auction closes on Thursday, March 1 at 5 p.m. ET.

Solar Capacity in the SREC States – December 2011

Posted December 28th, 2011 by SRECTrade.

SRECTrade SREC Markets Report: December 2011

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.

Capacity_December2011

PJM Eligible Systems

As of the end of December, there were 20,967 solar PV and 252 solar thermal systems registered and eligible to create SRECs in the PJM Generation Attribute Tracking System (GATS). Of these eligible systems, 95 (0.45%) have a nameplate capacity of 1 megawatt or greater, of which 10 systems are greater than 5 MW. The largest system, currently located in New Jersey, is 18.3 MW, and the second largest, located in Ohio is 12 MW. The third largest system, at 11.2 MW, is located in Delaware.

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 December 27, 2011, 25.5 MW of solar capacity was registered and eligible to create DE SRECs in PJM GATS. 11.2 MW of the 25.5 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*. As of January 3, 2012, PJM GATS reported the issuance of approximately 13,560 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.

DE Chart

Maryland: Maryland’s 2011 Solar RPS target requires approximately 33,160 SRECs to be retired. To meet this using only 2011 vintage SRECs, approximately 27.6 MW would need to be operational all year long. As of December 27, 2011, 62.0 MW of solar capacity was registered to create MD eligible SRECs. 37.8 MW of this capacity was sited in the state of MD. The RPS currently requires electricity suppliers to acquire SRECs from in-state sited solar systems before looking to outside systems. As of January 3, 2012, PJM GATS reported the issuance of approximately 29,000 MD2011 SRECs from MD sited systems. There are also MD sited SRECs available from prior eligible periods, which could be utilized for compliance needs in 2011.

MD Chart

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. As of December 27, 2011, 483.2 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 483.2 MW figure. As of November 30, 2011 the NJ Office of Clean Energy (NJ OCE) reported that 531.7 MW of solar had been installed in NJ. As of January 3, 2012, PJM GATS reported the issuance of approximately 240,800 NJ2012 SRECs.

NJ Chart_v2

Ohio: Ohio’s 2011 RPS solar target requires approximately 46,940 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 December 27, 2011, 29.0 MW of in-state capacity and 68.0 MW of out-of-state capacity were eligible to generate OH SRECs. Additionally, as of January 3, 2012, GATS issued approximately 28,180 in-state and 60,580 out-of-state OH2011 eligible SRECs. Additional SRECs from prior years are also eligible for the current compliance period, which may impact the current year’s requirements.

OH Chart

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 December 27, 2011, 158.3 MW of solar capacity was registered and eligible to create PA compliant SRECs. As January 3, 2012, PJM GATS reported the issuance of approximately 93,370 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.

PA Chart

Washington, DC: DC’s 2011 RPS amended solar target requires approximately 48,220 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 December 27, 2011, 21.7 MW of capacity was eligible to generate DC SRECs. Additionally, as if January 3, 2012, GATS issued approximately 21,800 DC2011 eligible SRECs. SRECs from prior years are also eligible for the current compliance period, which may impact the current year’s requirements.

DC Chart

Massachusetts DOER Qualified Projects

As of December 22, 2011, there were 1,264 MA DOER qualified solar projects; 1,244 operational and 20 not operational. Of these qualified systems, 11 (0.9%) have a nameplate capacity of 1 megawatt or greater, of which only 3 are between 1.5 and 2 MW. Three of the projects greater than 1 MW are currently operational. Electricity suppliers providing power to the state need to acquire approximately 62,900 SRECs in 2011. Through the Q2 2011 issuance period (10/15/11), 9,499 SRECs have been minted. The Department of Energy Resources (DOER) projects approximately 29,000 SRECs to be generated this year, leaving the market short approximately 33,900 SRECs. The next issuance period for Q3 2011 SRECs will be on January 15, 2012.

MA Chart

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. For example, New Jersey needs approximately 368 MW online for the entire 2012 reporting year to meet the RPS requirement. 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.

Hearing on Pennsylvania SREC Bill (HB 1580) delayed again

Posted December 7th, 2011 by SRECTrade.

A critical Pennsylvania House Consumer Affairs Committee hearing on the Pennsylvania Solar Jobs Bill (HB 1580) scheduled for Thursday, December 8th was delayed again, according to a news flier sent out by the Pennsylvania advocacy group PennFuture. This is the 2nd time that the hearing has been delayed in as many weeks. According to the PennFuture flier, the bill hearing was delayed due to a death in Committee Chair Rep. Godshall’s family. No reschedule date has been announced yet.

Solar Capacity in the SREC States – November 2011

Posted November 29th, 2011 by SRECTrade.

SRECTrade SREC Markets Report: November 2011

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.

GATS_generators_11_28_11

PJM Eligible Systems

As of the end of November, there were 20,223 solar PV and 252 solar thermal systems registered and eligible to create SRECs in the PJM Generation Attribute Tracking System (GATS) registry. Of these eligible systems, 87 (0.42%) have a nameplate capacity of 1 megawatt or greater, of which only 6 systems are greater than 5 MW. The largest system, currently located in New Jersey, is 18.3 MW, and the second largest, located in Ohio is 12 MW. The third largest system, at 11.2 MW, is located in Delaware.

Delaware: The reporting year 2011-2012 requirement for DE equates to approximately 23,340 SRECs being retired. If all retired SRECs were of DE2011-2012 vintage, approximately 19.5 MW would need to be operational all year long. As of November 28, 2011, 22.8 MW of solar capacity was registered and eligible to create DE SRECs in PJM GATS. 11.2 MW of the 22.7 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*. As of this writing, PJM GATS reported the issuance of 8,758 DE2011-2012 SRECs. Additional SRECs from the DE2010-2011 period may also impact the market should there be a demand for these older vintage SRECs.

Maryland: Maryland’s 2011 Solar RPS target requires approximately 32,240 SRECs to be retired. To meet this using only 2011 vintage SRECs, approximately 26.9 MW would need to be operational all year long. As of November 28, 2011, 54.8 MW of solar capacity was registered to create MD eligible SRECs. 33.5 MW of this capacity was sited in the state of MD. The RPS currently requires electricity suppliers to acquire SRECs from in-state sited solar systems before looking to outside systems. As of this writing, PJM GATS reported the issuance of 23,439 MD2011 SRECs from MD sited systems. There are also MD sited SRECs available from 2010, which could be utilized for compliance needs in 2011.

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. Given the shortage of NJ2011 Solar RECs, older vintage SRECs will not impact the 2012 market. As of November 28, 2011, 433.2 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 433.2 MW figure. As of September 30, 2011 the NJ Office of Clean Energy (NJ OCE) reported that 447.7 MW of solar had been installed in NJ. For more details on the increase in NJ capacity see this post. As of this writing, PJM GATS reported the issuance of 163,507 NJ2012 SRECs.

Ohio: Ohio’s 2011 RPS solar target requires approximately 45,210 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 November 28, 2011, 27.7 MW of in-state capacity and 61.3 MW of out-of-state capacity were eligible to generate OH SRECs. Additionally, for the year to date, GATS has issued 23,834 in-state and 47,137 out-of-state OH2011 eligible SRECs. Additional SRECs from prior years are also eligible for the current compliance period, which may impact the current year’s requirements.

OH Capacity Chart

Pennsylvania: The reporting year 2012 requirement for PA equates to retiring approximately 48,430 eligible SRECs. If all compliance obligations were met using 2012 vintage SRECs, approximately 41.9 MW would need to be operational all year long. As of November 28, 2011, 152 MW of solar capacity was registered and eligible to create PA compliant SRECs. As of this writing, PJM GATS reported the issuance of 66,243 PA2012 SRECs. Given the oversupply during previous reporting years, there are also PA2012 eligible SRECs from the 2010 and 2011 reporting years.

Washington, DC: DC’s 2011 RPS amended solar target requires approximately 50,270 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 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 November 28, 2011, 21.5 MW of capacity was eligible to generate DC SRECs. Additionally, for the year to date, GATS has issued 18,382 DC2011 eligible SRECs. Additional 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 November 21, 2011, there were 1,149 MA DOER qualified solar projects; 1,128 operational and 21 not operational. Of these qualified systems, 11 (1.0%) have a nameplate capacity of 1 megawatt or greater, of which only 3 are between 1.5 and 2 MW. Three of the projects greater than 1 MW are currently operational. Electricity suppliers providing power to the state need to acquire approximately 62,900 SRECs in 2011. Through the Q2 2011 issuance period (10/15/11), 9,499 SRECs have been minted. The Department of Energy Resources (DOER) projects approximately 29,000 SRECs to be generated this year, leaving the market short approximately 33,900 SRECs.

MA Capacity Chart

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. For example, New Jersey needs approximately 368 MW online for the entire 2012 reporting year to meet the RPS requirement. 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 “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.

New Jersey Capacity Update – Solar Continues to Push Forward

Posted November 28th, 2011 by SRECTrade.

NJ2012 Capacity Update

The New Jersey Office of Clean Energy (NJ OCE) published an updated installed solar projects list as of September 30, 2011. According to the NJ OCE, as of 9/30/11 the Garden State installed 447.7 MW of solar capacity. This equates to more than 20 MW added in the month of September, putting the state at an average of 27.1 MW per month and a total of 108.2 MW installed for the 2012 compliance year to date. NJ OCE estimates for October 2012 expect 44 MW of additional capacity to be installed, bringing total installed capacity to over 491 MW.

Although the NJ OCE reports 447.7 MW installed as of September 30, 2011, PJM GATS currently shows 431.2 MW registered to produce SRECs as of 11/26/11. It is common to see a difference in registered projects between the NJ OCE and PJM GATS reported figures as there is typically a delay from when systems are interconnected and installed to when they receive their NJ state certification number and become registered in GATS.

New Jersey’s 2012 reporting year solar requirement is currently set at 442,000 MWhs. Assuming a production factor 1.2 MWh per installed kW per year, the state needs approximately 370 MW operational all year long. As of 11/26/11, GATS has reported 163,507 SRECs issued through September 2011 generation. October 2011 generation will be issued on November 30, 2011. Given the volume issued through September 2011, approximately 37% of the required volume has been generated. This leaves a need of approximately 278,500 SRECs to meet the 442,000 MWh RY2012 target.

Monthly Capacity Analysis_v2-1

Assuming all NJ solar facilities produce at a 1.2 MWh production factor per kW per year, and all systems noted as installed on the NJ OCE installed project list received generation credit from their first full month of operation, the existing installed capacity of 447.7 MW will produce approximately 338,400* SRECs between October 2011 and May 2012. This additional generation will bring the NJ2012 SREC issuance total to approximately 501,900 SRECs, an excess of 60,000 MWhs. Assuming the October 2012 estimates are accurate, the additional of 44 MW in October creates additional oversupply, equating to a forecast of almost 530,600* NJ2012 SRECs minted and an excess of 88,600 MWh. Both of these scenarios only account for the existing installed capacity through September 2011 and estimates through October 2011. Additional supply will continue to come online through the remaining months of NJ2012, with more capacity anticipated to be pushed through at the end of the 2011 calendar year due to the expected expiration of the federal grant incentive. The additional supply coming online throughout the remaining months of NJ2012 will further impact the long SREC market NJ is facing and have an effect on the 2013 market.

NJ2013 SREC Market

As it currently stands, the NJ2013 (June 2012 – May 2013) Renewable Portfolio Standard (RPS) requires 596,000 MWhs of solar generation. This Solar REC requirement equals approximately 496.7 MW to be operational all year long, assuming the NJ2013 requirements are met only using 2013 vintage SRECs. Given the current market, and expected oversupply, the NJ2013 market will start off the year with between 60,000 – 88,600 MWhs already issued and eligible to meet the 2013 requirements. Note, this assumes the September figures and October estimates provided by the NJ OCE are accurate and do not take into consideration any additional capacity to be installed in the remaining months of the 2012 compliance period.

Assembly Bill 4226

Introduced on November 10, 2011, Assembly Bill 4226, sponsored by Assemblyman Upendra Chivakula (District 17), and Assemblyman Daniel Benson (District 14), would implement changes to the current solar RPS requirements. Under the current RPS, the SREC requirements are subject to a 20% increase per year through 2027 should the state meet or exceed its solar requirements three years in a row, while also experiencing a decline in SREC pricing in those same three consecutive periods. The final paragraph of the current format of 4226, states that the 3 year time period would be reduced to 1 year and be applied beginning in the 2013 compliance period.

Should this bill be signed into law, the 20% increase would take effect in 2013. Currently, RY2013 has a requirement of 596,000 MWhs. A 20% increase would adjust the 2013 requirement to 715,200 MWh; equal to an additional 119,200 SRECs required or approximately 99.3 MW operational all year long.

Other solar trade and advocacy groups have actively suggested alternative proposals to the legislation, some of which include a revised SREC requirement schedule as well as a fixed SACP schedule through 2027. We will continue to keep a close eye on the legislative process and provide updates as more information is known and how it will impact RY2013 and future NJ compliance periods.

*This figure uses a PVWatts calculation assuming 1.2 MWh/kW/Year and takes into consideration seasonality for the remaining months left in the compliance period.

Massachusetts SREC Timeline

Posted November 21st, 2011 by SRECTrade.

To help with cash flow planning, it is important to understand the timeline inherent with the Massachusetts SREC program. Customers are often surprised to learn that SRECs are created by the state several months after they are produced. Here is a chart outlining when SRECs are created in Massachusetts.

Production Quarter

In Massachusetts SRECs are created once a quarter on a quarter delay. This means that a system that was installed in say, July 2010, will sell its first SRECs in January. Why the long delay? This is a function of the way the program has been implemented in Massachusetts. The solar system owners must first report solar production to the Production Tracking System (PTS). The PTS is part of the Massachusetts Clean Energy Center and is in charge of collecting all renewable energy production data. At the end of each quarter all of the solar production information is submitted to the NEPOOL-GIS, a third-party organization that is in charge of the software used to register and track SRECs. The NEPOOL-GIS creates SRECs at the end of the new quarter based on the previous quarter’s production data.

SRECTrade holds a Massachusetts specific auction on the day that the SRECs get created or the first business day that they are available. For example, January 15th 2012 falls on a Sunday, so the auction will be held on Monday, January 16th 2012.

Rhode Island Passes Renewable Energy Law

Posted November 14th, 2011 by SRECTrade.

The Ocean State took a step forward in promoting solar energy recently as Rhode Island Governor Lincoln D. Chafee signed §723 Sub A into law on June 29, 2011 to encourage the generation and use of renewable energy in the state.

The legislation requires at least 40 MWs worth of distributed generation projects in the small New England state by the end of 2014. The contracting shall be spread over 4 years based on annual targets set by the Board. Though the specific rules are still being sorted out, the program should proceed quickly as the first 5 MW are due to be contracted by the end of this year.

(1) By Dec 30, 2011, minimum 5 MW;
(2) By Dec 30, 2012, minimum aggregate of 20 MW;
(3) By Dec 30, 2013, minimum aggregate of 30 MW;
(4) By Dec 30, 2014, minimum aggregate of 40 MW.

The Board will recommend to the Commission the standard contract ceiling price by October 15 each year and it will be announced by December 15. The ceiling price for each technology should allow a private owner to receive a reasonable rate of return, based on recent reported and forecast information on the cost of capital and the cost of generation equipment. The reasonable rate of return shall include applicable state or federal incentives including but not limited to tax incentives.

This program represents the first statewide Feed-In Tariff law passed in the U.S. The implementation will be a key factor in how this program will ultimately impact the state. A target of 40 MW over 4 years is not very large, especially considering that a single wind turbine can be larger than 5 MW. All it would take is eight 5MW wind turbines (not wind farms; individual turbines!). Therefore, if Rhode Island has any ambition of developing a lasting industry, it is important that the program is designed in a way that provides access to a diverse group of participants rather than a few “winners” selected by the state and the utility companies.

To that effect, the legislation mandates that by Dec 31, 2012, there shall be at least 4 technology classes and of which, 2 shall be for solar generation technologies. A standard contract term is for 15 years. Besides distributed generation facilities having to be located within the Utility Company’s load zone, small projects shall have a nameplate capacity no larger than 500 kw for solar, 1.5 MW for wind and no more than 1 MW for other renewable energy. Large distributed generation projects may not exceed 5 MW and a project developer will not be allowed to segment a project into smaller sized projects in order to fall under the “small” definition. As long as electric distribution companies fulfill the required technology classes, they are free to mix and match small and large projects to achieve their goals.

Each electric distribution company shall conduct at least 3 standard contract enrollments during each program year except for 2011 where only 1 is required. During the two week enrollment period, the electric distribution company is required to receive standard short-form applications requesting standard contracts for distributed generation energy projects. Contracts for small distributed generation projects are awarded on a first-come first-serve basis. Contracts for large distributed generation projects will be awarded based on the lowest proposed prices received. Eligible systems that are net-metered may apply to sell excess output.

Pennsylvania Legislative Update: HB 1580 Still in Committee and In Need of Support

Posted October 28th, 2011 by SRECTrade.

Over 90 members of the Pennsylvania solar industry lobbied Pennsylvania legislators on Monday, 10/28/11 to voice their support HB 1580 an SREC bill. The effort was part of an official “Pennsylvania Solar Advocacy Day” event put on by PennFuture, Solar Alliance, Vote Solar, PASEIA and others. By the end of the day more than 108 members of the Pennsylvania House (of a required 100) had offered to sponsor the legislation should it make it out of committee.

House Bill 1580 (sponsored by Rep. Chris Ross, R-Chester) proposes to move the total requirement of SRECs forward by three years to increase the number of SRECs Load Serving Entities (utility-scale “dirty” electricity producers) must purchase. The rapid implementation of Pennsylvania SREC eligible facilities over the last year has led to an SREC over-supply of more than double the amount of SRECs needed by utility-scale electricity producers. This over-supply is responsible for low SREC pricing in Pennsylvania.

SREC markets are driven by the fundamentals of supply and demand. However in Pennsylvania demand (the amount of SRECs required for a given year) is significantly lower than the number of SRECs available. The Pennsylvania SREC market is designed in such a way that every year there is a set goal for amount of power that comes from renewable energy sources and any adjustment to the yearly goal requires legislative action.

In order for the bill to move forward it needs the support of Rep. Bob Godshall, Chairman of the House Consumer Affairs Committee for Committee vote. PennFuture has asked the Pennsylvania solar community to write Rep. Godshall to show their support of the bill. However, even if the bill gets out of Committee in its current form it still needs to pass the House and Senate.  With 108 state Representatives co-signing the bill it is expected to pass the House, but it’s unclear how it will fair if it reaches the Senate.

Stay tuned for more HB 1580 Updates.