Www.eirgrid.com Metering Modification to T&S code Cathal Kearney Protection & Metering 15/04/2015.

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Metering Modification to T&S code Cathal Kearney Protection & Metering 15/04/2015

Presentation Introduction Modification to the T&SC Benefit of Modification to the T&SC Questions

Introduction The TSO is Meter Data Provider to the SEM for both Transmission and Distribution connected Generation Units registered in the SEM The TSO are Dual polling DSO connected energy meters in order to provide meter data on a 7 Day Basis to the SEM for Ex-Post Indicative (Day+1) and Ex-Post initial (Day+4) MSP Software runs This Trading and Settlement Modification is been proposed in order to allow the TSO as Meter Data Provider to fulfil it obligations under the Trading and Settlement code for the provision of Energy Meter Data to the SEM

Modification to the T&SC Currently the T&SC outlines in sections 3.74, 3.75 and 3.81, that the Meter Data Provider is responsible for installing, commissioning and maintaining Energy meters at Generation sites This modification proposes to change the T&SC to be in line with the Meter Code where the Relevant Meter Operator is obliged to operate and provide for the installation, testing and calibration of a defined set of metering points

Modification to the T&SC This modification also proposes the inclusion of Meter Communication Channels with 2 day support arrangements and associated power supplies to be in place in order that the Responsible Meter Data Provider can routinely poll energy meters for the provision of Meter Data under Appendix L of the T&SC This modification also proposes that the Relevant Meter Operator and / or Generator is responsible for Meter Communication Channels where the TSO has approved the use of these communication channels to the TSO central data collection system

Benefit of modification to the T&SC Due to the substantial increase in Generators changing from Non Price Effecting to Price Effecting Units in the SEM and future Connections. Meter Data Providers are required to provide Generator Price Effecting Meter Data to the SEM for the MSP software runs by Day+1 and Day+4. This modification proposes to harmonise the responsibilities of the Relevant Meter Operators for the installation and maintenance of Energy Metering systems at Generators and the requirement that Meter Communication Channels have 2 day support arrangements in place for Price Effecting Generation. The aim of this modification is to reduce the number of resettlements in the SEM, by improving the standard of metering installations and clarification of the roles and responsibilities of parties involved in order that Meter Data Providers can provide Meter Data to the SEM as per T&SC - MSP software runs

Impacts of Modification It has been investigated that the number of meter data resettlements being raised in the SEM is increasing as more Generation units becomes Price effecting in the SEM, these resettlements are mainly due to communication and power supply issues to metering systems Please consider the following: –There will be additional cost associated with improving meter installations that are currently installed or for future installations under Gate 3. Further work is required by the Relevant Meter Operator to establish additional costs of improved meter installations –There will be additional cost associated for the support of Meter Communication channels under a 2 day support requirement. Further work is required by the Relevant Meter Operator and / or Generator to establish additional costs of supported Meter Communication Channels

Questions Questions in relation to this Modification