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Maryland Regulatory Background. Maryland is a deregulated" or restructured" stateMaryland law: Energy suppliersLicense RequirementsConsumer Protection rulesDisputes. 2. Supplier Licensing. MD PSC must approve license RequirementsTechnical and managerial competenceAffirmations of Compl
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1. The Need for Consumer Protectionsin Retail energy marketingMaryland’s Perspective Peter Saar
Assistant People’s Counsel
Maryland Office of People’s Counsel
6 St. Paul Street, Suite 2102
Baltimore, MD 21202
410-767-8150
www.opc.state.md.us
NASUCA Annual Meeting
November 15, 2011
2. Maryland Regulatory Background
Maryland is a “deregulated” or “restructured” state
Maryland law: Energy suppliers
License Requirements
Consumer Protection rules
Disputes
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3. Supplier Licensing MD PSC must approve license
Requirements
Technical and managerial competence
Affirmations of Compliance
FERC and PJM rules
Federal and state consumer protection laws and regulations
Disclosure of problems in other states
Federal and state environmental laws and regulations
Tax compliance
Financial history and integrity
Guarantees, bonds and letters or credit
Certifications
MD Assessments and Taxation: Business qualification and standing
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4. Licensing Procedures PSC Staff
Application – Compliance Review
Technical and financial competence
Certifications and affirmations
Consumer and environmental complaints – Other states
Review of training and marketing materials (if available)
Comments to PSC
OPC Role
Application - Focus of Review is on Customer Issues
Disciplinary actions and complaints – Other states
Internet
Supplier website
Marketing and training materials (if available)
Solicitations without a license
Comments to PSC
PSC Approval or Denial
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5. Consumer ProtectionUnfair and Deceptive Acts & Practices (UDAP) Unfair and deceptive practices
“Representations, omissions or practices that are likely to mislead the consumer”
Attorney General can enforce State consumer protection laws
UDAP: Advertising, solicitation and contracting
Door to Door Solicitation Act
Telephone Solicitation Act
Refers consumer complaints to MD PSC in first instance
MD PSC enforces Public Utility law and regulations (which incorporate UDAP principles)
Adequate, accurate customer information – informed choices
Supplier website: Readily understandable information
Services, prices and emissions disclosures
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6. Consumer ProtectionsContracts General rule: Written contracts are required
Door to door (anyplace other than supplier’s fixed location)
Telephone (unless exempt from rule)
Customer must receive and sign a written contract after call
Contract is void otherwise
Typical exemptions
Pre-existing business relationship
Customer-initiated call
Customer has reviewed written materials in advance ( slippery exception)
Exempt solicitation requirements
Disclosure of all material terms and condition
3rd party verification
Mail or transmit contract within 3 business days
Internet
Printable document with terms and conditions sent to valid email address of customer
No right of reccission
Automatic renewal is permitted – 45 Advance notice is required
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7. Consumer ProtectionContract Disclosures Contract: All Material terms and conditions
Description of services and restrictions
License number
Price terms
Deposits
Cancellation: Circumstances, notice and fees
Automatic renewal term
Billing options
No Electricity Facts Label
Price terms
Fixed and variable prices
Price: what is included/excluded
Price Comparison: Supplier price vs. utility SOS price for set periods
See OPC Price Comparison sheets
New Law: PSC must have consumer education website – electric supply only
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8. Consumer ProtectionDisclosure Requirements Restrictions
Customer Information
Mass Customer List: PSC permits release of name, address and phone number to energy suppliers
Utility must obtain pre-approval
Customer deemed to consent
Notice required
Customer can “opt-out”
Account number and energy usage information cannot be disclosed without express consent
Bills to require disclosure have been introduced and narrowly defeated
Supplier cannot disclose customer billing, payment or credit information without customer consent
Exception: Use for billing, bill collection and credit reports
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9. Regulatory Enforcement MD PSC - License Violations
Show Cause Proceedings
Suspension or revocation of license
Prohibition on new customer soliciation or enrollment
Civil penalty ($10,000 per violation)
Factors
Provision of false information
Switching customers without consent
Service default
Fraudulent or deceptive practices
Failure to maintain financial integrity
Violation of a PSC regulation or order
Non-payment of taxes
Violation of PSC law or consumer protection laws
Conviction for a felony, or crime of fraud, deceit or theft
Suspension or revocation of license in other state 9
10. Problematic Practices General – Advertising
Potential misrepresentation or exaggeration of price savings
Percentage savings exaggerated
Deceptive price comparisons
“Teaser” rates (low rates for month or two on variable contract)
“Guarantee” of savings on multi-year contracts (utility SOS price is not known past one year)
Use of “gifts” (gift cards; points) can blur price comparison information
Targeting: Customers with Limited English Proficiency and Seniors 10
11. Problematic Practices Solicitations
Door to door
Marketing agents’ lack of knowledge (paid on commission)
Deceptive appearance of marketers (logos; clothing)
Deceptive identification (“I am from the utility”)
Failure to provide written contract and obtain signature
Customers do not get required notice of 3-day recission period
Telephone
Potential cramming concerns
Failure to provide written contract and get signature after the call
3rd party verification: selective recording
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12. Problematic Practices Contracts
Contract terms do not match oral representations
Price terms
Variable prices
Insufficient fee disclosures
Asymmetrical cancellation terms
Billing
Consolidated billing
Handling of disputes over supplier charges (on utility bill)
Purchase of receivables (POR) – Authorized by MD PSC
Termination of utility services for non-payment of supplier charges
Inclusion of non-energy charges in supplier charges
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13. Maryland Experience MD PSC Proceedings
North American Power
Viridian
Licensing
Pending question – should independent marketing representatives be licensed?
Advertising and Solicitation
Price offers and comparisons
“Guaranteed” savings on long-term contracts (2-5 years) which cannot be substantiated
Percentage savings are exaggerated
Offers lack utility price comparisons
Brokers
Advertising and Marketing materials do not clarify the broker role
Residential brokers have relationship with only one supplier (acting in agent role)
Account Information
Submission of personal information (account number) prior to price quote
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14. RecommendationsLaws, Regulations or Codes of Conduct Supplier licenses
Suppliers (with title), brokers and independent marketing representatives
Enforcement
Dispute process
Suppliers and brokers
License or registration for independent marketing representatives
Consumer Protection
Marketing and advertising
Solicitation
Contracts
Billing
Dispute Procedures
Enforcement
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15. References Maryland Laws
MD. Public Utilities Article (PUA)
§7-507 (Electricity Supplier License and Consumer Protection)
§7-603 (Gas Supplier License and Consumer Protection)
§7-507 (q) (Concurrent PSC and Attorney General authority)
Md. Comm. Law Art.
§13-301 et seq. (UDAP)
§14-2201 et seq. (Telephone Solicitation Act)
§ 14-2601 et seq. (Door-to-Door Solicitations Act)
Maryland Regulations (COMAR)
20.51.02.01 (Electricity supplier license requirements)
20.54.02.01 (Gas supplier license requirements)
20.53.07.01 (Residential electricity customer – consumer protections)
20.59.07.01 (Residential gas customer – consumer protections)
20.53.05.03 (Electric Utility billing – includes purchase of receivables)
20.59.05.01 (Gas Utility billing – includes purchase of receivables)
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16. References Federal Laws
15 U.S.C. §§ 11601-1608 (1994) (Telephone Consumer Fraud and Abuse Prevention Act) (“Do Not Call Registry”)
Federal Regulations
16 CFR Part 310 (Telemarketing Sales Rule)
FTC Policy Statement on Deception, 103 F.T.C. 110,174 (1984)
FTC Policy Statement on Unfairness, 104 F.T.C. 949, 1070 (1984)
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17. Resources MD OPC Consumer Information
Monthly Electricity and Gas Supplier Price Comparisons
Guide to “Contracting for Electricity and Natural Gas Supply”
Available at www.opc.state.md.us
FTC
“Advertising Retail Electricity and Natural Gas”
“Advertising and Marketing on the Internet” (September 2000)
Available at www.ftc.gov
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