01 Please supply any comments related to the multi-day-ahead assessment and release.
NV Energy appreciates the opportunity to comment on the Operations Program Timeline Business Practice Manual (“BPM”) and offers the following comments for consideration. NV Energy provides the following proposed revision to the Multi-Day-Ahead Assessment section:
“If the Multi-Day-Ahead Assessment indicates low risk of a potential Sharing Event, the PO may consider early release of a portion or all of the indicative Holdback Requirement for Participants who have a positive Sharing Calculation result. Additionally, if the Multi- Day-Ahead Assessment indicates a potential for a large Sharing Event, the PO will notify Participants of the potential for insufficient holdback to meet the total deficit as calculated by the Sharing Calculation which.”
02 Please supply any comments related to the preschedule day.
It is unclear what is meant in the last sentence of the Preschedule Day section because it was not completed.
03 Please supply any comments related to the operating day.
The BPM proposes that the participant submit hourly data 120 minutes prior to the operating hour and again after the operating hour during each operating day. NV Energy recommends that this data submission only be required when a sharing event occurs, rather than every operating day. It is unclear from this BPM if the process would end once any holdback was released or if it would be the intention of the program to submit hourly data regardless of a sharing event occurring or not. NV Energy understands that this information maybe necessary to update the sharing calculation or to review participation, but recommends it only be collected when a sharing event occurs.
04 Please supply any comments related to the current format, structure, contents of the business practice - as it relates to a template for all business practices to follow.
No Comment.
General Comment
No comment.