“This is huge” – rule changes to boost solar PV and batteries

By Rob Murray-Leach on 27 July 2018
https://reneweconomy.com.au/this-is-huge-rule-changes-to-boost-solar-pv-and-batteries-99826/

Yesterday the Australian Energy Market Commission (AEMC) released its long 
awaited ‘Reliability Frameworks Review’.

The AEMC proposed a raft of changes that will make it easier for consumers to 
get paid for delivering capacity to the electricity market – whether that 
capacity is megawatts from solar PV and batteries, or ‘Negawatts’ from reduced 
demand.

If the AEMC’s proposed reforms are fully implemented, it will mean huge 
benefits for the owners of emerging technologies like rooftop PV and batteries.

However, the original driver of these reforms was the need for a proven, 
old-school technology: ‘demand response’.

Demand response can be defined as consumers altering their consumption of 
electricity temporarily, including reducing consumption during periods of peak 
demand, or increasing demand during periods of excess supply.

Historically manufacturers and commercial energy users could offer the most 
demand response capacity, although the increase in home batteries could see 
households eventually play an even bigger role in reducing grid-facing demand.

When electricity is in short supply households can use their battery to meet 
their own energy needs – to the grid, this looks like the household has 
dramatically cut their power use.

For individual consumers that reduce their demand during periods when energy is 
in short supply (and thereby expensive), it can dramatically cut their bills. 
However, there are also huge benefits for the grid and other consumers.

For example, if a manufacturer is prepared to reduce its demand when the 
electricity spot price reaches $200 per MWh, this means that we don’t need to 
switch on peaking generators that cost much more to run, and this keeps power 
prices lower.

Even better – with enough demand response in the system, fewer peaking 
generators need to be built in the first place.

However, the real benefit is that demand response massively increases 
competition in the electricity market, reducing the potential for generators to 
exploit their market power.

Demand response makes up about 10 per cent of the capacity in 
thePennsylvania-New Jersey-Maryland Interconnection market (PJM), the world’s 
largest electricity market.

Recent estimates from the regulator there found that including demand response 
in their capacity market has reduced costs for consumers by a whopping USD $12 
billion in just a single year.

This might explain why the most vocal advocate against demand response is Snowy 
Hydro – a company that can make a killing when it is the last available 
capacity in the market.

Unfortunately, all the available evidence suggests that the level of demand 
response in the National Electricity Market (NEM) is well below both the 
economically optimal level and the level seen in overseas markets like the PJM.

The low level of demand-side participation is caused by barriers that have been 
identified in multiple reviews, including:

    The 2002 COAG Energy Market Reviewled by Warkwick Parer AM;
    The 2012Power of Choice Reviewundertaken by the AEMC; and
    The 2017 Independent Review into the Future Security of National 
Electricity Marketled by Dr Alan Finkel AO.
    The 2018 ACCC Retail Electricity Pricing Inquiry

The Parer Review’s conclusion from 2002 is still one of the most succinct 
explanations of the problem:

    “The Panel found that there is a relatively low demand side involvement in 
the NEM because:the NEM systems are supply side focused;the demand side cannot 
gain the full value of what it brings to the market; andresidential consumers 
do not face price signals.”

Since the Energy Efficiency Council was formed in 2009 we have been advocating 
for the NEM’s market bodies to fix these problems. In 2012 the AEMC agreed that 
Australia should introduce a demand response mechanism, and COAG signed off on 
it.

However, in 2016 the AEMC decided not to introduce the mechanism that it had 
proposed itself.

The main reason was that there was excess capacity in the electricity market in 
2015, and the modelling that the AEMC commissioned predicted that this 
situation would continue for many years. When there’s excess dispatchable 
capacity in the market, there’s not much reason for demand response.

However, Blind Freddy could see that large coal fired generators were about to 
close and increased penetrations of solar PV and wind generation would benefit 
from increased levels of demand response. In 2015 we predicted that the market 
was going to change rapidly, but it’ s exceeded even our expectations!

The latest predictions from Green Energy Markets are remarkable – in just two 
years NSW’s generation will be almost 20 per cent renewable, Victoria’s 
generation will be almost 40 per cent renewable, and South Australia’s 
generation will be a whopping 70 per cent renewable.

This rapid change in the market is why Finkel, the Energy Security Board, AEMO, 
ACCC and now AEMC have decided that we need to urgently introduce a mechanism 
to allow consumers to sell capacity into the wholesale market.

Batteries are great but capacity is not cheap – if we can support batteries by 
adjusting demand to better match patterns of supply it will lower electricity 
bills for everyone.

The AEMC has taken the sensible approach of recommending a package of measures 
to address the barriers to demand response, which includes:

    Demand response aggregators and providers should be able to be recognised 
on equal footing with generators in the wholesale market and so offer wholesale
   Consumers should be allowed to engage multiple retailers / aggregators at 
the same connection point (multiple trading relationships). This will promote 
competition between retailers, supporting new business models for demand 
response and providing consumers with greater opportunities to engage in 
wholesale demand response with parties other than their incumbent retailer.

    A voluntary, contracts-based short-term forward market be implemented that 
would allow participant-to-participant trading of financial contracts closer to 
real time. this will provide the demand side with more opportunities to lock in 
price certainty, making it easier for large demand side consumers to engage in 
the wholesale market and demand respond (i.e. reduce consumption) in response 
to expected wholesale prices.

If these changes are fully implemented, it means that consumers will have much 
more control over the energy market, and dramatically reduce the potential for 
generators to exploit their market power.

This is a huge win.

However, we shouldn’t count or chickens yet – the AEMC proposed a mechanism 
back in 2012, but it was never implemented.

We’re working with a broad range of consumer groups to keep the pressure up for 
reform. To quote Winston Churchill – This is not the end of the reform process. 
It’s not even the beginning of the end. But it is, perhaps, the end of the 
beginning.

Rob Murray-Leach is Head of Policy at the Energy Efficiency Council
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