Posts Tagged ‘Washington’

Looking Back at Washington Clean Fuel Standard’s First Year (Part 2)

Posted July 30th, 2024 by SRECTrade.

This is a two-part post. Click here for Part 1

Credit Prices Slump Amid Oversupply

The first Washington Clean Fuel Standard (CFS) credits were transacted around the $100 mark in August 2023. However, credit value has steadily declined since the program began. The latest market data made available by Ecology indicated a $40 average for credits transferred in June 2024, with only 4 recorded transfers. Credit pricing has continued to decline since, with trades in July reported as low as $20, similar to levels seen for the Oregon Clean Fuels Program.  

Source: Department of Ecology

Ecology To Make Changes to CFS Rules

Ecology continues to hold workshops to collect stakeholder feedback on potential changes to the program. Changes being proposed include:

  • Integrating sustainable aviation fuel (SAF) into the program
  • Requiring third-party verification for fuel pathway applications and fuel transaction reports
  • Expanding the zero-emission infrastructure capacity crediting program to align with changes proposed for the CA-LCFS
  • Adjusting book-and-claim accounting requirements for electricity and renewable natural gas

Notably, Ecology will not be modifying the carbon intensity targets in this rulemaking, despite the apparent oversupply of credits and declining credit prices. 

Initiative 2117

In November, Washington voters will consider Initiative 2117 which, if approved, would repeal the Climate Commitment Act and the state’s Cap and Invest program. While Initiative 2117 leaves the Clean Fuel Standard intact, the balance of credits and deficits may be impacted: “Repealing the Climate Commitment Act will likely have an impact on the flow of renewable diesel to the state of Washington as the [Cap and Invest] program increases the cost of diesel made from crude oil, the exact thing renewable diesel is replacing. Without this policy in place, renewable diesel will likely go elsewhere where this type of carbon policy pricing arbitrage exists such as California and Canada” says Will Faulkner, founder of CarbonAcumen.

Recent polling indicated that 48% of respondents would vote to repeal the Climate Commitment Act, with an additional 18% undecided.

Looking Back at Washington Clean Fuel Standard’s First Year (Part 1)

Posted July 30th, 2024 by SRECTrade.

This is a two-part post. Click here for Part 2.

Last month, the Washington Department of Ecology (Ecology) published the latest credit and deficit data for the state’s Clean Fuel Standard (CFS). With a full year of program data available, we can take a look at some emerging trends and compare against forecasts developed ahead of the launch of the program. 

Growing Credit Bank

After the first year of the program, the cumulative credit bank (a measure of net credits and deficits generated over the life of the program) was just shy of one million credits. The number of excess credits generated in Q4 was almost 350,000, compared to only about 150,000 in Q1 of the program. Meanwhile, the number of deficits generated has declined slowly over the past year, while the number of credits has been steadily increasing.

Source: Department of Ecology

Ethanol and Residential EV Charging Lead Credit Generation

CFS credit generation in 2023 was led by ethanol (39%) and electricity (37%), with most of the credits from electricity generated by residential EV charging. Residential EV credits are issued to utilities based on estimates. Note that previous quarterly reports did not include the quantity of residential EV credits because they were issued all at once earlier this year. Credits from bio-based diesel (renewable diesel and biodiesel) represented another 23% of credits generated in 2023.  

Source: Department of Ecology

2022 Fuel Supply Forecast

In September 2022, before the CFS was initiated, the Washington Department of Commerce commissioned a fuel supply forecast to estimate the number of credits required to comply in the first year of the program. While the forecast relies on a number of assumptions in a rapidly changing sector, it is intended to provide a reasonable preview of how the program will perform in its first year. With the latest data release from Ecology, it is now possible to compare the fuel supply forecast against actual credit and deficit generation in 2023. 

*Capacity/Infrastructure credit program was not initialized until 2024

Source: Department of Commerce Fuel Supply Forecast

The 2022 forecast underestimated the number of credits that would be generated from ethanol, EVs, and renewable diesel, while overestimating the number of credits from biodiesel. Most significantly, the Commerce study estimated the program would end the year with a net bank of 300,000 credit. Instead the net bank was over three times that amount. 

The greatest variance was electricity, where the forecast underestimated the number of credits by an order of magnitude. Possible explanations may include:

  • Greater than expected EV adoption rates – the forecast relied on vehicle registration data from 2021 and through June 2022. However, the state saw the largest increase in EV market share in 2023 of any state, with a 43% increase in EV and plug-in hybrid (PHEVs) registrations. Nearly one-fourth of vehicles delivered to dealerships in 2023 were EVs and PHEVs. 
  • Lower carbon intensity –  the number of credits generated from EV is partially a function of the carbon intensity (CI) of the electricity used to charge the vehicle. The forecast uses a statewide average CI score to calculate EV credits, similarly to how the California LCFS program works in this regard. However, the Washington CFS uses utility-specific CIs. The CI score in Seattle, for instance, is significantly lower than the CI in Spokane. A closer look at vehicle registration data would likely show that EV adoption rates are much higher near Seattle than in eastern Washington.

Under the CFS regulations, the Department of Commerce is required to develop a “periodic fuel supply forecast to project the availability of fuels to Washington necessary for compliance with clean fuels program requirements.”

Click here for Part 2.

Washington State Considers Changes to Clean Fuel Standard

Posted February 22nd, 2024 by SRECTrade.

The Washington Department of Ecology held a workshop on Thursday to discuss potential rule changes to the state’s Clean Fuel Standard (CFS) which was originally implemented on January 1, 2023. Ecology staff laid out the scope of this rulemaking which is expected to conclude with rule adoption by early 2025. The rulemaking will address the following topics:

  • Sustainable Aviation Fuel (SAF) – align program rules with state legislation passed in 2023 that aims to expand use of SAF.
  • Third-Party Verification – require fuel pathway applications and fuel transaction reports to be verified by accredited verification bodies. Ecology is looking to mirror similar programs in California and Oregon, where both programs are proposing to expand existing verification requirements to include EV charging. Ecology did not clarify whether verification would be required for EVs during the workshop.
  • Expand ZEV infrastructure applicability – current rules allow for certain public fast-charging and hydrogen refueling stations to generate CFS credits based in part on station fueling capacity and not solely on the quantity of fueling. Ecology is considering expanding the current rules to allow for medium and heavy-duty infrastructure to be eligible as well. The California Air Resources Board has proposed a similar expansion of ZEV infrastructure crediting for their Low Carbon Fuel Standard. Ecology also indicated that the current ZEV infrastructure program will soon be implemented.
  • Book-and-claim accounting – Ecology staff propose to update accounting methods for biomethane and electricity.

Ecology clarified that changes to carbon intensity targets and program participation fees would not be considered during this rulemaking.

Public comments from this initial workshop may be submitted by March 24. Ecology will schedule additional workshops in the spring and begin publishing draft rules this summer. Ecology aims to hold a public hearing to consider rule changes in the fall or winter.

DC and MD SREC Market Update Webinar Posted

Posted May 8th, 2014 by SRECTrade.

SRECTrade hosted a webinar on Tuesday, 5/6/2014, outlining the DC and Maryland SREC markets. A recording of the webinar is available by clicking the image below.

A link to a PDF of the presentation can be found here.

Solar Capacity in the SREC States – December 2010

Posted January 5th, 2011 by SRECTrade.

SRECTrade SREC Markets Report: December 2010

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

PJM Eligible Systems

As of the end of December, there were 11,241 solar PV (11,015) and solar thermal (226) systems registered and eligible to create SRECs in the PJM Generation Attribute Tracking System registry. Of these eligible systems, 35 (~0.3%) have a nameplate capacity of 1 megawatt or greater, of which only 3 systems are greater than 5 MW. The largest system, currently located in Ohio, is 12 MW,  and the second largest, located in Chicago and eligible for the PA and DC markets, is 10 MW. The third largest system, located in NJ, is 5.6 MW.

Massachusetts DOER Qualified Projects

As of December 10, 2010, there were 180 MA DOER qualified solar projects; 156 operational and 24 not operational. Of these qualified systems, 9 (~5.0%) have a nameplate capacity of 1 megawatt or greater, of which only 2 are between 1.5 and 2 MW. None of the projects greater than 1 MW are currently operational.

Capacity Summary By State

The tables below 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. For example, PA In State includes projects eligible to sell into the PA SREC market as well as projects that may also be eligible to sell into OH and DC. 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 255 MW online for the entire 2011 reporting year to meet the RPS requirement. Additionally, the data presented below 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 to date.

Dec JPEG Image updated

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