On February 20, 2020, FERC issued four separate orders with significant impacts on renewable and storage resources under the New York Independent System Operator, Inc.’s (“NYISO”) buyer-side mitigation (“BSM”) rules (collectively, “February 20 Orders”). BSM rules serve some of the same purposes as PJM’s Minimum Offer Price Rule or “MOPR.” While the orders explicitly limit or reject proposed renewable and storage exemptions, the orders are equally important for what they do not do. Focused on the cases and records before it, FERC declined to extend BSM to apply outside of the so-called Mitigated Capacity Zones or “MCZs” (New York City, or Zone J, and the Lower Hudson Valley, or Zones G through J). Consequently, BSM still does NOT apply to any units, including renewable, storage or nuclear units, outside of these MCZs. FERC also directed NYISO to better tailor a renewable exemption specific to the MCZs. The extent to which this will help the new development of offshore wind in New York remains to be seen.  In dissenting opinions, Commissioner Richard Glick argued, among other things, that the majority’s overall approach to BSM will protect incumbent generators while impeding state clean energy policies.
Continue Reading

On December 19, 2019, FERC issued a long-awaited order in which it directed PJM Interconnection, L.L.C. (“PJM”) to apply its Minimum Offer Price Rule (“MOPR”) to all state-subsidized capacity resources (“December 2019 Order”). FERC also adopted limited grandfathering and exemptions for certain resources.  The December 19 Order will have a significant impact on PJM’s capacity market. PJM requires resources subject to the MOPR to offer into the PJM capacity auctions at or above a PJM-determined offer floor. When this floor is above capacity auction clearing prices, the resource does not clear the market or receive any capacity market revenue. Capacity prices are also higher than they would be had the resource cleared the market.
Continue Reading