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OPSI Panel Climate Change

OPSI Panel Climate Change. Sonny Popowsky Consumer Advocate of Pennsylvania October 1, 2009 Annapolis, MD PA Office of Consumer Advocate 555 Walnut Street Forum Place, 5th Floor Harrisburg, PA 17101-1923 (717) 783-5048 Telephone spopowsky@paoca.org www.oca.state.pa.us. 118001.PPTX.

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OPSI Panel Climate Change

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  1. OPSI PanelClimate Change Sonny Popowsky Consumer Advocate of Pennsylvania October 1, 2009 Annapolis, MD PA Office of Consumer Advocate 555 Walnut Street Forum Place, 5th Floor Harrisburg, PA 17101-1923 (717) 783-5048 Telephone spopowsky@paoca.org www.oca.state.pa.us 118001.PPTX

  2. What’s the Problem? • There is a difference between the cost to electric generators of reducing carbon emissions and the cost to customers of paying for those emission reductions. • In restructured states, in which electric generation rates are based on marginal market clearing prices, the initial costs to consumers of a cap and trade program for carbon emissions will be far higher than the costs of such a program to consumers in regulated states where electric generation rates are based on the cost of service. • When carbon-emitting units set the market clearing price in restructured markets, the cost of carbon allowances will be included in the price paid to all operating generating units, including nuclear units that have no actual carbon compliance costs.

  3. PJM Climate Change Report • Assuming a CO2 allowance price of $20 per ton in the year 2013, “[t]he impact on the PJM Energy Market could be power price increases as high as $15/MWh, and market-wide expenditures increase by as much as $12 billion, while providing emission reductions from PJM sources of approximately 14 million tons.” PJM Climate Change Report at 25. • According to the PJM Study, the increase in the market clearing price is about 75% of the CO2 allowance price because “coal remains the marginal generating resource for close to 70 percent of the hours and coal has an approximate emissions rate of one ton per MWh.” Report at 24.

  4. Synapse Climate Change Report • On July 15, 2009, Synapse Energy Economics issued a Report entitled Productive and Unproductive Costs of CO2 Cap-and-Trade: Impacts on Electricity Consumers and Producers. • The Report was prepared for NARUC, NASUCA, APPA, and NRECA.

  5. Synapse Climate Change Report:PJM Results • Assuming a CO2 allowance cost of $20 per ton, using generation data from the year 2005, the Synapse Report estimates a power price impact of $15.02 per MWH, and a total annual cost to PJM consumers of $10.876 billion if there are no “free” allowances. • But the Synapse Report shows drastically different consumer impacts in restructured states vs. regulated states. The differences vary depending on how allowances are allocated.

  6. Impact of Allocation Approach in PJM $/MWh Average Price Increase Based on Synapse Energy Study, Appendix p.4-7

  7. Synapse Estimate of PJM Nuclear Plant Payments • In recent years, nuclear generation in PJM has amounted to approximately one-third of PJM generation. • Based on $20 per ton CO2 allowance price and 2005 generation levels, Synapse estimates that PJM nuclear units with market-based rates would receive over $2.6 billion of increased annual revenue even though they incur no carbon compliance cost.

  8. Adding Insult to Injury: Free Allowances to “Merchant Coal” Plants • The Waxman/Markey legislation adopts a proposal made by EEI that a portion of free allowances be allocated to “merchant coal” plants, based on 50% of their base year emissions. See, Testimony of Jeffry Sterba, Hearing of April 23, 2009, at page 12. • The basis for the EEI proposal was that “in most unregulated markets the market price of electricity is determined by natural gas, and natural gas emits approximately 50% of the carbon from coal.” • The free allocation of allowances for 50% of emissions would allow merchant coal plants to recover “the portion of their increased costs that is not recovered through market prices.”

  9. PJM Marginal Unit by Fuel Type Source: PJM Market Monitor Reports

  10. Merchant Coal Allocation • The factual premise of the free merchant coal allocation is demonstrably false in PJM, where coal still sets the market clearing price more than 70% of the time. • Under Waxman/Markey, merchant coal plants recover their “cost” of compliance, while merchant nuclear plants will charge market prices that include the value of allowances, even though they incur no compliance costs. • In other words, unregulated generators will charge the higher of cost or market.

  11. Merchant Coal Plant Allocation • Based on an assumed CO2 allowance price of $20 per ton, the 10% merchant coal allocation will add about $4 billion per year to the cost to consumers of cap and trade legislation nationwide. Synapse estimates that the increased annual cost to PJM consumers would be about $700 million. • This will result in higher costs even for customers in regulated states, because they will be losing 10% of the free allowances that otherwise would have gone to their regulated distribution utilities for the benefit of their customers.

  12. Caveat • The Synapse Report represents a near-term analysis of the comparative impacts of carbon emission allowance methods in restructured vs. regulated generation markets. The Report acknowledges that: “In the long run, the economic rewards of avoiding emissions costs may be an efficient driver for the development of new low-carbon resources, including new nuclear plants, to replace existing carbon-intensive resources.” • Proponents of market-based generation pricing have argued that by giving appropriate price signals, the competitive markets will result in a lower cost long-term response to emission reduction requirements.

  13. But On The Other Hand…. • There are principled arguments for either cost-based or market-based approaches to establish the price of carbon emission allowances. • But by giving free allowances to merchant coal generators to cover their “costs”, while allowing merchant nuclear generators who have zero compliance costs to charge “market” prices that reflect the market value of allowances, we are allowing merchant generators to charge the higher of cost or market. • What is the principled argument for that?

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