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HomeMy WebLinkAbout2021-12-17; Clean Energy Alliance JPA; ; Receive Update on Proposed Changes to San Diego Gas & Electric Net Energy Metering Tariffs and Consideration of Sending a Letter Commenting on the Proposed Changes~-~ CLEAN ENERGY ALLIANCE Staff Report DATE: December 17, 2021 TO: Clean Energy Alliance Board of Directors FROM: ITEM4: Barbara Boswell, Chief Executive Officer Receive Update on Proposed Changes to San Diego Gas & Electric Net Energy Metering Tariffs and Consideration of Sending a Letter Commenting on the Proposed Changes RECOMMENDATION Direct staff to draft a letter for Board Chair signature commenting on the California Public Utilities Commission proposed changes to San Diego Gas & Electric Net Energy Metering Tariffs, to be delivered to Governor Newsom and the California Public Utilities Commission. BACKGROUND AND DISCUSSION On August 27, 2020, a proceeding was initiated with the California Public Utilities Commission (CPUC), commonly known as NEM 3.0, for the purpose of revisiting current Investor-Owned Utilities (IOU) (including San Diego Gas & Electric) net energy metering (NEM) tariffs. Since that time, the CPUC has heard various proposals related to changes to the NEM tariffs. A proposed decision (PD) on the proceeding was submitted on December 13, 2021, and the earliest the PD can be heard by the CPUC is January 27, 2022. CEA Board will be provided a summary of the PD and may consider sending a letter to the Governor and CPUC commenting on the PD. FISCAL IMPACT There is no fiscal impact by this action. ATTACHMENTS None Net Energy Metering 3.0 Proposed Decision R. 20-09-020 December 17, 2021 T n SDAL ENERGY & ENVIRONMENTAL LAW -Overview • Export compensation • Market Transition Credits • Grid Participation Charges • Eligible Rate Schedules • Grandfathering • Implementation • Export Compensation • Export compensation reduced as much as 20 to 25 cents/kWh. • Compensation rate is now based on avoided cost calculator. • Customer incentives for rooftop solar are now limited. • Market Transition Credits Residential $1.62/kW $3.59/kW $0/kW Low Income $4.36/kW $5.25/kW $0/kW Non-Residential $0/kW $0/kW $0/kW • Monthly Grid Participation Charge Low-Income $0/kW Non-Residential $0/kW • Eligible Rate Schedules • Eligible rate schedules limited to one schedule per utility. • Commission explains "requiring highly differentiated time-of-use rates will vastly improve the pricing signal to customers and meet several guiding principles in this proceeding." • SDG&E rate schedule is EV-TOU-5. • Limits consumer choice and may further reduce incentive to participate. • Grandfathering • Residential customers (non-CARE) on NEM 1.0 and 2.0 will transition to NEM 3.0 no more than 15 years after the customer's interconnection date. • NEM 2.0 tariff customers who voluntarily transfer to NEM 3.0 receive a $0.20/Wh storage rebate for four years, decreasing by 25 percent per year over the subsequent four years. • The 15-year legacy period is replaced with a 20-year legacy period for future NEM 2.0 customers, applicable to customers who enter into NEM 2.0 service after NEM 3.0 decision is adopted, or who later take control of a residential system that is operated under NEM 2.0 service. • Implementation D + 30 days -Utilities file Tier 1 advice letter with NEM 3.0 tariff. D + 45 days -Utilities file supplemental advice letter with rate elements and tariff sheets. D + 100 days -Energy Division decision on advice letters. D + 120 days -NEM 2.0 tariff sunsets. No additional customers permitted to take service. D + 12 months -Utilities finish billing system changes and complete implementation . • _;('ii-, SAN DIEGO ( J. "t COMMUNITY \.!._,• POWER 815 E Street, Suite 12716 San Diego, CA 92112 sdcommunitypower.org Governor Gavin Newsom 1303 10th Street, Suite 1173 Sacramento, CA 95814 California Public Utilities Commission 505 Van Ness Ave., San Francisco, CA 94102 RE: SDCP Supports the Sustainable Growth of the Rooftop Solar Industry via the Net Energy Metering (NEM) 3.0 Proceeding Dear Governor Newsom and CPUC Commissioners, As one of the largest Community Choice Aggregators (CCA) in California, San Diego Community Power (SDCP) requests your support to protect rooftop solar, ensure that it continues to grow sustainably through the existing Net Energy Metering (NEM) 3.0 proceeding, maintain the existing structure for current NEM customers, and have it available for future customers in our Communities of Concern. California has suffered the devastating effects of the accelerating climate crisis in the past year with wildfires displacing hundreds of thousands of people and producing some of the worst air quality in state's history. SDCP believes that rooftop solar is a key solution to fighting climate change as many of the jurisdictions which joined the organization did so with a vision of 100 percent renewable energy by 2035 or sooner, including distributed energy resources, such as local rooftop solar and storage. California has long been a leader in adopting solar energy with over a million residents generating their own renewable energy onsite, creating more than 75,000 jobs, and helping contribute billions of dollars of economic benefit to the state through the existing NEM structure. Net Energy Metering allows customers to power their homes, apartments, nonprofit organizations, businesses, cities, and schools using clean solar energy by giving them a bill credit for the excess clean electricity they send to the grid. Today, the sustainable growth of the industry is under question. California's investor-owned utilities (IOU) and other parties in the proceeding are proposing to make changes via the proceeding which would impact the financial incentives existing NEM customers have enjoyed. The proposed changes would make going solar more expensive to future customers, increase the amount of time it takes to pay off their investments and ultimately have the potential to seriously harm the rooftop solar industry in California. The proposed changes would also create monthly fixed fees that SDCP customers could not avoid on the San Diego Gas & Electric (SDG&E) side of the bill, regardless of the Net Surplus Compensation (NSC) that is provided by SDCP. As San Diego Community Power works to provide competitive rates and cleaner energy, we acknowledge that reaching our 100% renewable energy goal requires a diverse '.· ,_ ... . ' ~- portfolio of resources including rooftop solar. Ensuring the sustainable growth of the industry through a supportive NEM 3.0 proceeding is in line with the increase of renewables needed to meet the state's Senate Bill (SB) 100 goal of 100 percent clean energy by 2045. Doing so has the potential to reduce greenhouse gas emissions and create thousands of green jobs that can benefit our Communities of Concern. In prioritizing an equitable and survivable future, the NEM 3.0 proceeding shall continue the sustainable growth of the industry which helps increase grid resiliency and lessen the impacts of the climate crisis such as the frequency of wildfires. Particularly, it is important to consider potential impacts to our low-income communities like those on the California Alternate Rates for Energy (CARE) and Family Electric Rate Assistance (FERA) rates, who may wish to enroll in NEM but may be discouraged from doing so if the financial incentives are decreased. Expanding NEM benefits to residents on 80 percent of the area median income would also help in these efforts. As such, drastic changes to the NEM program by the CPUC has the potential to negatively impact the financial incentives customers have enjoyed, and what future customers could have enjoyed as well. California has long been a model on the clean energy transition, and what happens here will shape the clean energy landscape across the United States. Lastly, as we emerge from the economic and public health crises caused by COVID-19, we urge you to maintain the benefits of solar energy for all Californians, ensure that the industry continues to grow sustainably from the NEM 3.0 proceeding, and invest in Communities of Concern who are at the forefront of the climate crisis. Sincerely, cc: Members of the California Public Utilities Commission MCE I My co"'!munity. My choice. MARIN COUNTY NAPA COUNTY UNINCORPORATED CONTRA COSTA COUNTY UNINCORPORATED SOLANO COUNTY BENICIA CONCORD DANVILLE El CERRITO FAIRFIELD LAFAYETTE MARTINEZ MORAGA OAKLEY PINOLE PITTSBURG PLEASANT HILL RICHMOND SAN PABLO SAN RAMON VALLEJO WALNUT CREEK Governor Gavin Newsom 1303 10th Street, Suite 1173 Sacramento, CA 95814 California Public Utilities Commission 505 Van Ness Ave. San Francisco, CA 94102 December 08, 2021 RE: MCE Supports the Sustainable and Equitable Growth of Rooftop Solar, Particularly for Low-Income and Disadvantaged Communities, via the Net Energy Metering (NEM) 3.0 Proceeding Dear Governor Newsom and CPUC Commissioners, As one of the largest Community Choice Aggregators (CCA) in California, Marin Clean Energy (MCE) requests your support to ensure that rooftop solar coupled with storage continues to grow sustainably, and equitably, through the existing Net Energy Metering (NEM) 3.0 proceeding. Robust adoption of distributed energy resources (DERs ), such as solar plus storage, is fundamental in the fight against climate change. Further, increased solar plus storage adoption increases resiliency for the entire grid, and has the potential to lessen the impacts of the climate crisis via reductions in greenhouse gas emissions. High DER penetration also creates green jobs to benefit our communities. NEM allows customers to power their homes, apartments, nonprofit organizations, businesses, cities, and schools using clean solar energy by giving them a bill credit for the excess clean electricity they send to the grid. Today, the sustainable and equitable growth of rooftop solar is under question. California's investor-owned utilities (IOU) and other parties in the proceeding are proposing to make changes which would impact the financial incentives of NEM customers. coNCORDOFFICE: 2300 Clayton Road, Suite 1150, Concord, CA 94520 SAN RAFAEL OFFICE: 1125 T amalpais Avenue, San Rafael, CA 94901 mceCleanEnergy.org Some studies show that historically, rooftop solar adoption has disproportionately benefited higher income, white, single-family homeowners. 1 MCE is focused on creating sustainable and equitable outcomes for our member communities. When determining the structure of the program under a NEM 3.0 framework, MCE urges you to consider those customers who have traditionally been excluded from the benefits ofNEM, such as those who are lower-income and/or live in multi-unit dwellings and disadvantaged communities (DACs). MCE is focused on getting battery storage, coupled with solar, into our communities to help with resiliency during emergency outages and PSPS events, and to improve grid health and reliability. Battery storage is especially important for medically vulnerable customers, critical facilities, and in DACs, where Public Safety Power Shutoff (PSPS) events have been an added burden. These battery solutions, coupled with solar, shift the benefits of solar to the evening, when the energy is needed most, and they reduce the need for fossil-based generation in the 4-9 pm timeframe. NEM solutions should bolster and incentivize storage to improve grid health and community resilience. The proposed policy changes to NEM would make going solar more expensive to future customers, increase the amount of time it takes to pay off their investments and ultimately have the potential to limit the amount of rooftop solar ( and solar plus storage) in California. Some of the proposed changes would also create monthly fixed fees that MCE customers could not avoid in their transmission and distribution charges to Pacific Gas & Electric (PG&E), regardless of the Net Surplus Compensation (NSC) that is provided by MCE. In particular it is critical to consider impacts to our low-income communities like those in the California Alternate Rates for Energy (CARE) and Family Electric Rate Assistance (FERA) discount programs, who may wish to enroll in NEM but may be discouraged from doing so if the financial incentives are decreased too significantly. To promote a sustainable and equitable NEM future, MCE urges a strong focus on incentivizing solar plus storage adoption (particularly among low-income customers and those living in DACs), avoiding punitive fees for installing solar, and ensuring any changes do not dissuade customers from installing battery storage. There may be a need for a modest grid-use charge for NEM customers who rely on the grid during non-solar hours, relative to their actual grid impact, to avoid cross-subsidization, but there should be no "penalty" fees for NEM customers. Any such grid-use charge should be carefully researched and developed before implementation to confirm it would not act as a disincentive to battery storage adoption. Therefore, we oppose any CPUC proposal that imposes a penalty fee on past or future solar and solar + storage adopters. It is critical that low-and middle-income customers (including 1 Barbose, Galen L., et al. Residential Solar-Adopter Income and Demographic Trends: 2021 Update. Lawrence Berkeley National Laboratory (LBNL), Berkeley, CA 2021. homeowners and renters) as well as those living in disadvantaged communities are not discouraged from enrolling in NEM programs. Potential solutions to consider include: Expanding NEM benefits for residents with household incomes at or below 80 percent of the area median income, as determined by the Department of Housing and Community Development; Exempting low-income customers, especially those that live in High Fire Thread District (HFTD) areas or DACs, or those who have experienced multiple PSPS events from additional fixed charges. Providing stronger incentives for low-income customers that live in HFTD areas to install solar plus storage systems; Exempting low-income customers and those who live in DACs from additional fixed charges; Providing stronger upfront incentives for low-income customers and those who live in a DAC to install solar plus storage systems; and Exempting customers who install batteries from any proposed fixed charges ( and providing compensation for those DERs ), as their batteries provide additional grid benefits. California has long been a model for the clean energy transition, and what happens here will inform the clean energy landscape across the United States. As we emerge from the economic and public health crises caused by COVID-19, MCE urges you to maintain the benefits of solar energy for all Californians when storage is included, ensure that rooftop solar plus battery storage continues to grow sustainably and equitably, and focus investment on the ratepayers and communities who are at the forefront of the social justice and climate crisis. Sincerely, Dawn Weisz, Chief Executive Officer Cc: Members of the California Public Utilities Commission DocuSign Envelope ID: DACBCD47-DC62-4975-A42E-23F7861834D5 RESOLUTION No. -2021-35 A RESOLUTION OF THE BOARD OF DIRECTORS OF THE EAST BAY COMMUNITY ENERGY AUTHORITY SUPPORTING A REGULATED NET ENERGY METERING (NEM) PROGRAM THAT ENCOURAGES CLEAN ENERGY DISTRIBUTED GENERATION AND HELPS MEET VITAL CLEAN ENERGY AND CLIMATE GOALS WHEREAS, Net Energy Metering (NEM) is designed to encourage and support the installation of customer-sited, behind-the-meter renewable energy generation in order to reduce emissions of heat-trapping greenhouse gases and bolster a clean energy economy; and WHEREAS The East Bay Community Energy Authority ("EBCE") was formed as a Community Choice Aggregation agency ('CCA') on December 1, 2016, under the Joint Exercise of Power Act, California Government Code sections 6500 et seq., among the County of Alameda, and the Cities of Albany, Berkeley, Dublin, Emeryville, Fremont, Hayward, Livermore, Oakland, Piedmont, San Leandro, and Union City, followed by the addition and inclusion in March of 2020 of the cities of Newark and Pleasanton, located in Alameda County, and the City of Tracy, located in San Joaquin County, to study, promote, develop, conduct, operate, and manage clean energy and climate programs in the member jurisdictions. WHEREAS, NEM allows customers to receive bill credits for power generated by their solar system and shared with the power grid and ultimately save money on their electricity utility bills, which also over time helps reduce costs to the power grid; and WHEREAS, NEM is what has helped behind-the-meter solar become increasingly accessible to lower income households; and WHEREAS, Assembly Bill 327 (Chapter 611, statutes of 2013 as amended) includes a sub-section that directs the California Public Utilities Commission to adopt a NEM policy that ensures solar distributed generation will continue "to grow sustainably and include specific alternatives designed for growth among residential customers in disadvantaged communities." WHEREAS, California is much less likely to adequately meet its 2030 and 2045 clean energy goals in time with utility scale solar alone and needs to substantially increase the amount of rooftop solar and associated storage, as reported by the California Energy Commission 2021 SB 100 Joint Agency Report Summary; and WHEREAS, Customer-sited solar distributed generation leads to overall savings on future transmission costs in California; and WHEREAS, protecting rooftop solar and expanding access to rooftop solar in communities of concern will help California and cities in EBCE service territory to DocuSign Envelope ID: DACBCD47-DC62-4975-A42E-23F7861834D5 move toward 100 percent clean energy, lessen our contribution to the climate crisis, and reduce air quality injustices from dirty energy; and WHEREAS, we are in a worldwide climate crisis and need to make the transition to clean energy more accessible by keeping all types of eligible renewable energy in the mix. NOW THEREFORE, BE IT RESOLVED that the East Bay Community Energy (EBCE) authority supports protecting and expanding rooftop solar via a strong succeeding NEM tariff and expanding clean energy access by making it easier, not costlier, for people to adopt rooftop solar and related energy storage in order to meet California's important clean energy targets and deploy solar in all communities and households, particularly those most struggling to pay their electricity bills; BE IT FURTHER RESOLVED that East Bay Community Energy (EBCE) respectfully urges the CPUC to strengthen the NEM program in a manner that (i) Expands clean distributed generation access to all households, particularly of low-and moderate income ratepayers; (ii) Expands access to other clean energy technologies that pair with solar, such as battery storage; (iii) Ensures that the solar installations continue to grow in order to help meet State and local climate goals; and (iv) Excludes provisions for high monthly fixed fees. (v) Integrates Time-Of-Use rates into NEM 3.0 as appropriate to incentivize solar distributed generation, electrification and energy efficiency. (vi) Ensures that customers in Environmental and Social Justice communities who have not had much access to rooftop, behind-the- meter solar are provided generous incentives so they can be a greater part of the clean energy solution to the climate crisis. (vii) Ensures that low-income customers have the opportunity to access the bill savings and resilience benefits associated with the NEM tariff. (viii) Provides a pathway for Environmental and Social Justice communities to own and operate distributed generation and related storage projects in their communities and to their benefit, and (ix) Ensures low-income customers are incentivized with retail rates to participate in the NEM program. BE IT FURTHER RESOLVED that elements of any NEM 3.0 program should take into account expected job impacts in the solar industry and seek to avoid job loss in the solar distributed generation sector. BE IT FURTHER RESOLVED that that copies of this Resolution shall be sent to each member of the California Public Utilities Commission and to Governor Gavin Newsom. DocuSign Envelope ID: DACBCD47-DC62-4975-A42E-23F7861834D5 ADOPTED AND APPROVED this 3rd day of December, 2021. Dianne Martinez, Chair GDo'"Slgood by, WD ~"' 90Efl8A3222CE44E Clerk of the Board