Market Operations Standing Committee MOSC October 19, 2005 Pat Doran.

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Presentation transcript:

Market Operations Standing Committee MOSC October 19, 2005 Pat Doran

2 Proposed Market Rule Amendment Proposed market rule amendment to allow the IESO to constrain resources for global adequacy –Existing rules provide the IESO with this authority for local adequacy only This capability is required as part of the Day Ahead Reliability Commitment Process however is also needed in Real Time Manual constraints will be applied to address reliability concerns only The existing pre-dispatch schedule does not optimize energy for the schedule period. Energy may not be scheduled where appropriate to meet reliability requirements.

3 Proposed Market Rule Amendment Constraints will be applied for three main reasons: –Operating Constraints A generator may be constrained on to ensure that it is available when required where minimum turnaround times/minimum start-up times can’t be met and where other resources are not available to replace it A generator is constrained on beyond its minimum run time where it is required for reliability (not allowed with current SGOL) –Energy A generator may be constrained on to replace energy from an energy limited resource that is required later in in the day. The energy limited resource is constrained off where not required and may be constrained on where required. –Repreparation An operating condition exists where additional resources are required in order to meet reliability obligations (e.g. reprepare the power system within defined time frames) New York imports exceed the IESO’s largest single contingency - generation may be constrained on to provide replacement capability (may be temporary until reserve is available)

4 Existing Market Rule References: Chapter 7, section Notwithstanding sections 3.3.3, 3.3.4, and 3.3.8, where the IMO determines, on the basis of the initial pre-dispatch schedule or any subsequent pre-dispatch schedule determined in accordance with section 5, that a revision to dispatch data will not allow it to maintain the reliability of the IMO-controlled grid, the IMO may, subject to sections and : – refuse to accept a revision to the quantity element of dispatch data submitted by a registered market participant; or – direct a registered market participant to submit or to resubmit a revision to the quantity element of its dispatch data, or both. The IMO shall notify the registered market participant of a refusal referred to in section and shall include in any direction issued pursuant to section a description of the revised dispatch data to be submitted or resubmitted by the registered market participant. Chapter 7, section The IMO shall not issue a direction pursuant to section or for the purposes of addressing a lack of overall adequacy of the IMO-controlled grid. Chapter 7, section The IMO may determine any additional compensation payable in respect of physical services acquired during an emergency operating state or a high-risk operating state. Suggest that the rules be amended to allow the IESO to direct participants to submit dispatch data and to constrain resources (generators and dispatchable load) for global adequacy. It will also allow the constrained resource to seek compensation for any fixed costs (start-up, speed no load etc.) that were not captured in their offer or not recovered by CMSC. Proposed Market Rule Amendment