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Compliance Performance Measure Proposals and Preliminary Trends. Greg Pierce – Chair, Performance Measures Task Force Compliance and Certification Committee Meeting March 10-11, 2010. Topics. PMTF Tasks and Approach Performance Measure Proposals Preliminary Trends Outreach Effort
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Compliance Performance Measure Proposals and Preliminary Trends Greg Pierce – Chair, Performance Measures Task Force Compliance and Certification Committee Meeting March 10-11, 2010
Topics • PMTF Tasks and Approach • Performance Measure Proposals • Preliminary Trends • Outreach Effort • Next Steps
PMTF Tasks • Establish an open, consistent and repeatable metric development process to identify and evaluate metrics • Develop compliance improvement measures at the highest levels to provide insight in terms of a set of compliance principles • Coordinate and work with Regional Entities, RMWG, OC, PC and CIPC to ensure agreement • Recommend how to benefit from the compliance improvement measures
Approach • Adopt RMWG’s open metric development process • Review data source on compliance and other key input factors • Propose a set of performance measures at high levels • Gather data and validate trends • Solicit feedback and other ideas from stakeholders • Prepare a draft report starting April 2010
Proposed Performance Measures • Compliance Culture • Timeliness of CVI/CIQ • Average Duration of Mitigation Plan Completion • Violation Risk Index • Average Duration of Audit Report Completion w/ No Violations • Average Duration of Audit Report Completion w/ Potential Violations • Availability/timeliness of 'lessons-learned’ guidance from audits, operating experience, violations and disturbances • Feedback to standards development • The detailed individual metric definitions and specifications are available at http://www.nerc.com/filez/pmtf.html.
Compliance Culture Measure • Metric – Compare Self-Disclosed Violations to the Total Number of Discovered Violations • Self-Disclosed = Self-report + Self-certification • Indicates the level of trust and cooperation within the “NERC Enterprise” as well as the culture of compliance of the stakeholder community
Timeliness of CVI/CIQ • Average Duration – for CVI/CIQ with Open status • Total number of CVIs/CIQs for Open and Closed status • Number of lessons learned and trends issued to industry
Average Duration of Mitigation Plan Completion • Duration – from Date plan received to Mitigation close date • Sum of all durations divided by total number of violations discovered in a particular quarter • Remove zero duration days
Violation Risk Index (VRI) • Violation Risk Index is defined as a risk factor and severity level weighted average based on unmitigated violations • Assess potential consequences of a particular unmitigated violation. • Unmitigated violations of higher risk factor requirements have more weighting value than of lower risk factors. • Determine the change in reliability levels due to Standard requirement violations. • Weighting factors and an example are included in Appendix A.
Average Duration of Audit Report Completion w/ No Violations • Measure audit process efficiency and ability to promptly advise industry of audit results • These reports do not have potential violations • Starting point: audit ending point • Ending point: report finalized with entity and received by NERC
Average Duration of Audit Report Completion w/ No Violations
Average Duration of Audit Report Completion w/ Potential Violations • Measure enforcement process efficiency and ability to promptly advise industry of audit results • These reports have potential violations • Starting point: audit ending point • Ending point: report finalized with entity and received by NERC • Data is not available until second quarter of 2010
Timeliness of Lessons-Learned • Establish a common and central platform to share lessons-learned • Timeliness of actionable lesson-learned guidance from operating experience, violations and disturbance events • Lessons-Learned guidance • Recommendations from event analysis • Compliance analysis • Advisories
Feedback to Standards • Timeliness of compliance results/feedback to standards • # of SARs (e.g., refine a particular requirement) • # of suggestion and comment submittals The Standards input form is available at http://www.nerc.com/files/Standards_Input_Form_Final_2008June30.doc • Direct input to “results-based” standards initiative • Focus on risk-based standards, using first assessment triage sheet
Outreach Effort • Chair met with and presented to the RMWG on February 18, 2010 • Chair presented to the NERC/Regional Entity Compliance Group at its conference call on February 26, 2010 • Chair presented to the OC/PC/CIPC at their joint WebEx conference call on March 9, 2010
Next Steps • Continue reaching out to seek guidance • Members will meet with OC and PC on March 16-17, 2010 • Recommend the proposals in June, desiring CCC approval in September 2010 • Comments and suggestions are due April 2, 2010 • Send to PMTF Chair, Greg Pierce at GPIERC2@entergy.com and NERC at jessica.bian@nerc.net
Appendix A • Violation Weighting Factor Table Note: 1. The weighting values are derived by applying similar ratios developed in the Base Penalty Amount Table described in section 4 of the ERO Sanction Guidelines, Appendix 4B to the NERC Rules of Procedure. 2. Reference materials are available in a NERC white paper “Toward Ensuring Reliability: Reliability Performance Metrics”. It can be viewed at: http://www.nerc.com/docs/pc/rmwg/Reliability_Metrics_white_paper.pdf.