Response to Stakeholder Comments on Draft and Revised Draft Tariff Language CCE3 and RSI Clarifications

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Response to Stakeholder Comments on Draft and Revised Draft Tariff Language CCE3 and RSI Clarifications 30.4.1.1.6.1 Six Cities Placement of the phrase on an annual basis creates ambiguity. The Six Cities recommend moving the phrase on an annual basis from the fourth line of the section to the third line after the word demonstrate to make clear that the phrase applies to the registration and validation process rather than the temporal scope of the use limits. 30.4.1.1.6.1.1 PG&E PG&E requests that CAISO update the effective date of the following language: Effective November 1, 2021, no contractual limitations will constitute qualifying contractual limitations that satisfy the requirements of this Section. Three years from the proposed Tariff changes would be April 1, 2022. The resources using this condition should be allowed to use an Opportunity Cost reflecting one year of operations until that time (vs. the resource being modeled to use all of its starts prior to April 1, 2022). 30.4.1.1.6.1.2 Six Cities On the twenty-first line of the section, placement of the phrase on an annual basis creates ambiguity. The Six Cities recommend moving the phrase on an annual basis from the twenty-first line of the section to the twentieth line after the word demonstrate to make clear that the phrase applies to the registration and validation process rather than the temporal scope of the use limits. Agree, ISO will revise. Agree that date needs to be changed. Agree, ISO will revise. 1

30.4.1.1.6.2.1 PG&E Within the calculation of opportunity cost adders section (p.5), CAISO removed language allowing for opportunity costs to be updated more frequently than a monthly granularity. PG&E feels that this language should remain, given the opportunity costs for some resources could change substantially within a month. Two examples of this are hydro resources and RDRR demand response programs. This lack of updating will be especially concerning when resources are nearing the end of the limitation period. Market participants should have the ability to request a mid-month update. 40.6.1(1) PG&E PG&E is concerned with the implications of the language change from physically capable of operating to not on Outage. There are certain classes of resources, for example legacy QFs, that do not need to have bids or self-schedules for their full RA capacity. Not all RA resources are subject to bid insertion or obligated to submit bids. 40.6.1.1(b)(1)(B) Six Cities In the second line, change physically capable of operating to not on Outage for consistency with other revisions. 40.6.1.1(d) PG&E This language makes no reference to exemptions allowed for Use-Limit Reached OMS cards or other OMS cards. CAISO should include these exemptions or reference section 40.9.3.4(d). 40.6.2(b) PG&E The CAISO states that there is a procedure to waive availability obligations for resources based on a procedure to be published on the CAISO website. The ISO has no functionality to update Opportunity Cost Adders mid-month. This proposed edit has been reversed in the revised section 40 draft. ISO is no longer proposing the change so no edit necessary. This proposed section has been removed as unnecessary. This is existing language moved from section 40.6.3. Such a procedure does not exist today but the ISO is not going 2

PG&E requests that the CAISO provide more clarification on this procedure document. 40.6.2(f) Six Cities Why are the proposed revisions to this sub-section different from the proposed revisions to Section 40.6.1.1(a)? Specifically, why is the phrase that are not Use-Limited Resources retained in this subsection but deleted from Section 40.6.1.1(a)? 40.6.2(g) Six Cities Why are the proposed revisions to this sub-section different from the proposed revisions to Section 40.6.1.1(b)(1)? Specifically, why is the phrase and are not Use-Limited Resources retained in this subsection but deleted from Section 40.6.1.1(b)(1)? 40.6.2(h) PG&E This language makes no reference to exemptions allowed for Use-Limit Reached OMS cards or other OMS cards. CAISO should include these exemptions or reference section 40.9.3.4 (d). 40.6.4.1 PG&E The language changes in this section are unclear and beyond the scope of CCE3. It appears that the CAISO is trying to change the definition of a VER. This will have broad implications. There are classes of resources that have no obligation to provide selfschedules or bids up to the RA quantity. A legacy hydro QF is one example of such a resource. Furthermore, this language does not consider lack of physical availability of these resources. The CAISO also appears to be changing the RAAIM calculation. This language should be removed from CCE3. to foreclose the opportunity to do that in the future. Agreed. That phrase should be deleted. Agreed. That phrase should be deleted. This proposed section has been removed as unnecessary. The revised draft language directly addresses the scope of the RAAIM exemption in 40.9.2(b). The language PG&E viewed as changing the definition of a VER is no longer being proposed. 3

40.6.4.1 PG&E PG&E is unclear as to the intent of the proposed language: If the only reason a given RA Resource is not required by this Tariff to submit a Bid to either the DAM or RTM is this Section 40.6.4.1, then, notwithstanding any RAAIM exemptions provided in Section 40.9.2, the RA Resource has not met the requirements of Section 40.6 for the purposes of the RAAIM calculations in Section 40.9. PG&E recommends that it be removed. 40.6.4.1 Six Cities What are the inherent properties of a source as distinguished from the capabilities of an individual Generating Unit? Does a solar or wind unit paired with storage capability have multiple sources of energy? Is it the intent of this language to negate a RAAIM exemption provided for in Section 40.9.2? If that is the case, then Section 40.9.2 should be revised for clarity. 40.6.5.1 Six Cities Should this section also refer to Medium Start Unit for consistency with previous revisions? 40.6.8(e) PG&E The proposed changes to this section are confusing and difficult to read. PG&E is also unclear as to why certain types of resources are being called out when generally applicable bidding rules call for bid insertion. 40.8.1.6 Six Cities What constitutes backup sources of generation? Is storage capability a backup source of generation? Recognizing that this is existing tariff language, This will be deleted. No longer necessary. The revised draft language directly addresses the scope of the RAAIM exemption in 40.9.2(b). The language PG&E viewed as changing the definition of a VER is no longer being proposed. This section has cross-references that needed to be updated. The references to section 40.6.3 and 40.6.7 are no longer relevant. The revised draft language is streamlined with a general reference to the generally applicable bidding rules in section 30. We are just including this section here to correct a cross-reference. This 4

clarification is important for implementation of the CCE3 initiative. 40.9.3.4(d) PG&E For clarity, CAISO should expand the term shortterm use limitation to include the various categories (i.e. Annual, Monthly, Other) found in Section 2.4 of the BPM for Outage Management. 40.9.3.4(d) Six Cities In the third line, delete Forced for consistency with the revision to the caption of the subsection. 40.9.3.4(e) Six Cities It is not clear why the provisions of this subsection should apply only in the event of a Forced Outage. The Six Cities request explanation and/or clarification. Appendix A Conditionally- Available Resource Appendix A Conditionally Available Resource PG&E Six Cities CAISO should clarify the intent of the new definition for Conditionally Available Resource. The proposed definition for this term seems unduly vague and open-ended. For example, it would appear that most resources classified as Use- Limited Resources also would satisfy the proposed definition of Conditionally Available Resource. The Six Cities recommend that the ISO attempt to specify what types of limitations will support section is about setting QC so we aren't looking to touch it. Existing authority permits ISO to maintain this detail in the BPM. This section is potentially being amended as part of the transmissioninduced generation outage RAAIM exemption initiative and has been omitted. This provision is in the heart of RAAIM calculation so any changes here are out of scope. Intent is to capture the universe of resources that are no longer Use- Limited Resources, but still have inherent limitations. This is meant to be a catchall category. The intent is not to subject such resources to big generation. Intent is to capture the universe of resources that are no longer Use- Limited Resources, but still have inherent limitations. This is meant to be a catchall category. The intent is not to subject such resources to big generation. 5

classification as a Conditionally Available Resource and how such limitations must be documented. 6