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Monitoring electricity markets What can we learn from the economics of regulation?. Robert J. Michaels California State University, Fullerton rmichaels@fullerton.edu Rutgers University
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Monitoring electricity marketsWhat can we learn from the economics of regulation? Robert J. Michaels California State University, Fullerton rmichaels@fullerton.edu Rutgers University Center for Research in Regulated Industries Annual Western Conference San Diego, California June 25, 2003
Market Monitors and Regulation • Power markets -- novel institutions and naïve expectations • Efficiency, cynicism and reality in the economics of regulation • California was just “reregulating” • Market monitors: which story fits California? • Virtual bidding in three ISOs: a natural experiment • Whence the collective amnesia of economists?
Electricity’s new institutions • Old federal and state regulation continues • Bilateral contracts, energy markets, and ISOs • Market Monitoring Institutions [MMI] • Observe and report to FERC on ISO energy markets • Internal employees or appointed outsiders • To observe market power and functioning of rules • Vague responsibilities: “anomalies” and “gaming” • Unclear investigative powers, abilities to levy sanctions • Order 2000 and SMD – FERC dodges the issues
No analogues of MMIs • Not a regulatory body, never contemplated in legislation • Stock Exchanges as Self-Regulatory Organizations • In federal law • Made up of market participants (NASD) • Electrical MMIs must have no market interests • Have powers re new contracts, arbitration, suspension of traders, circuit breakers • Electrical MMIs have ambiguous powers • Due process for SRO prosecutions
Economists and regulation I • Regulators inhospitable to economic recommendations re efficiency • But some headway in electricity – tariff designs, peak pricing, rates of return • Regulatory history – producer protection and franchises • Early studies: ineffectiveness, producer protection, cross-subsidies • “Capture” and more general models
Economists and regulation II • Later studies: politics and economics v. “public interest” • Mostly reject public interest where tested • FTC, antitrust, etc. and politics • The paradox: When MMIs arrived in electricity, economists played dead • Accepted feasibility of monitoring • Viewed it as a useful supplement to regulation • Despite past research and restructuring politics, no economist on any side has questioned MMMIs • No examination of their origins and performance
California’s Origins I • State restructuring under AB 1890 • Utilities must collect stranded cost in residual between market energy prices and frozen retail rates within deadline • Required to purchase all requirements day-ahead (PX) and real-time (ISO) • Political and economic rationales for separating PX and ISO • Required divestitures of major utility assets
California’s origins II • PX and ISO are in FERC jurisdiction • Can only have market-based rates if concentration in relevant markets low • Utilities’ studies all show concentration screens violated at times • Utilities propose mitigation • Further generation divestitures • “Must-run” contracts • Market monitoring • No other interested party proposes MMIs or questions why utilities have suggested them
California’s Origins III • 1995- 1997: Utilities dominate PX/ISO design “collaborative” • Only parties allowed to vote • All particulars of MMIs only formulated after FERC irreversibly approves concept • Result: four MMIs with vague responsibilities • PX and ISO get internal and external MMIs • To examine “anomalies” and “gaming,” evaluate protocols and report to FERC • Anomalies: things that should not happen in competitive markets – but no specification of what should • Gaming: taking unfair advantage of rules • Will have data-gathering and investigative powers • But are not to evaluate operation of the ISO
California’s monitors I • Begin operation with markets opening (4/1/98), soon face ancillary service thinness and must-run problems • Assertions re generators, reformation of must-runs, buyers’ market power no concern • Nearly 90% of PX sales to 3 utilities • “Hockey stick” supply means utilities can lower total cost by demand shifts • In [rare] discussions, MMIs excuse utilities’ conduct as “defensive” • PX MMI shows utilities how to lower price further • 2003: FERC says utilities exercised market power, says refunds not required since no profit resulted
California’s monitors II • Reconciling competitive west-wide markets with market power in Calif. • Beyond market analysis to calculating utility stranded cost recovery shortfalls • Market monitors calculate refunds, testify on behalf of state in other FERC refund proceedings • No objection by monitors to active presence of CDWR representatives in ISO trading area • FERC finally orders them out after petition from generators
Virtual bidding • Arbitrage by bidding demand or supply into DAM and selling or buying it back in RTM • Promotes efficiency and liquidity • Helps ISO manage buyer load shifts to RTM • In California, undoes misstated schedules • The comparison: RTOs and MMIs with differently-situated utilities will have differing policies re virtual bids
Case 1: PJM • Pennsylvania utilities previously reached settlements ensuring stranding recovery • Other PJM states allow cost pass-through • Most PJM transactions are bilateral or self-generation, retail competition is a real threat to Penna. Utilities • Result: PJM opens virtual bidding without problems on same day DAM and RTM open • MMI views virtual bids as integral to success of regional markets
Case II: New York • Utilities have unsettled strandings, but no deadlines like Calif., retain generation and contract bilaterally, with small retail threat • Two-year delay in introducing virtual bids • During interim, utilities can shift but others can’t • NYISO MMI believes physicals suffice for arbitrage and virtual bids can destabilize • Result: convergence between DAM and RTM prices, and between transmission-constrained areas • MMI says that volume is sufficient to undo moderate market power exercise by buyers
Case III: California • California utilities faced short stranding deadline, restricted to DAM and RTM for all power, retail rate freeze • MMIs reject virtual bid concept, view as generator market power • Some Enron transactions are virtual bids • But today: utilities rescued, bilaterals feasible, retail competition in doubt • New ISO DAM/RTM proposal includes virtual bids, now supported by monitors on efficiency grounds
Rethinking monitoring • Politics is trumping economics, like we said • No MMI has ever produced a minority report • But economic experts in dockets have differing views and interpretations • Are MMIs unrepresentative? Or crafting compromise opinions of less value to FERC • Smarter experts not the answer, stakeholder experts may be • Now a motive to explain differences of opinion • FERC’s majority and dissenting members can both put their differences on the record • Market monitoring – too important to be left to the market