HomeMy WebLinkAbout2024/02/06 - City Council Special Meeting - Study Session
CITY COUNCIL VISION STATEMENT
“Our Vision is to create an equitable, sustainable, and vibrant city, rich in opportunity for
all to thrive by building on our foundation and success as a world class community.”
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CITY OF RANCHO CUCAMONGA
SPECIAL MEETING
CITY COUNCIL AGENDA
February 06, 2024 – 3:15 PM
City Hall: Tri-Communities Conference Room
10500 Civic Center Drive
Rancho Cucamonga, CA 91730
CALL TO ORDER
PLEDGE OF ALLEGIANCE
ROLL CALL: Mayor Michael
Mayor Pro Tem Kennedy
Council Members Hutchison, Scott and Stickler
A. PUBLIC COMMUNICATIONS
This is the time and place for the general public to address the City Council on any item listed on the
agenda. State law prohibits the City Council from addressing any issue not previously included on
the agenda. The City Council may receive testimony and set the matter for a subsequent meeting.
Comments are to be limited to three (3) minutes per individual. For City Council Rules of Decorum
refer to Resolution No. 2023-086.
B. ITEMS OF DISCUSSION
B1. Receive Presentation on Chaptered Bill AB 1373, Clean Energy Legislation and Projected Impacts.
(CITY)
C. ADJOURNMENT
CERTIFICATION
I, Linda A. Troyan, MMC, City Clerk Services Director of the City of Rancho Cucamonga, or my designee, hereby certify under penalty
of perjury that a true, accurate copy of the foregoing agenda was posted on at least twenty-four (24) hours prior to the meeting per
Government Code 54954.2 at 10500 Civic Center Drive, Rancho Cucamonga, California and on the City's website.
LINDA A. TROYAN, MMC
CITY CLERK SERVICES DIRECTOR
If you need special assistance or accommodations to participate in this meeting, please contact the City Clerk's
office at (909) 477-2700. Notification of 48 hours prior to the meeting will enable the City to make reasonable
arrangements to ensure accessibility. Listening devices are available for the hearing impaired.
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DATE:February 6, 2024
TO:Mayor and Members of the City Council
FROM:John R. Gillison, City Manager
INITIATED BY:Jason C. Welday, Director of Engineering Services / City Engineer
Fred Lyn, Deputy Director of Engineering Services - Utilities
Deborah Allen, Management Analyst I
SUBJECT:Receive Presentation on Chaptered Bill AB 1373, Clean Energy
Legislation and Projected Impacts. (CITY)
RECOMMENDATION:
Staff recommends the City Council receive and file the presentation and overview of Assembly
Bill (AB) 1373 and its projected impacts on Resource Adequacy requirements.
BACKGROUND:
The Rancho Cucamonga Municipal Utility (RCMU) is a part of the California Independent System
Operator (CAISO) which manages eighty percent (80%) of the high-voltage, long-distance power
lines for California. As part of CAISO, RCMU has a Resource Adequacy (RA) requirement
mandate that it have in excess of fifteen percent (15%) electricity reserves beyond expected
demand, which represents the Planning Reserve Margin (PRM). Over the last few years, RCMU’s
attempt to purchase RA in this market has resulted in unprecedented difficulties in obtaining the
full allotment required by law. The price volatility of purchasing RA in the last several years has
gone from $1.25 per kilowatt per month (kW/mo) in 2017 to $6.75 in 2022 and $30 and up for
2024 and beyond, which is 5 to 25 times the original price and is not sustainable for this
commodity.
This challenge is similar to what has been experienced by all Publicly Owned Utilities (POUs) and
Community Choice Aggregators (CCAs) statewide. The California RA issues will continue to
worsen due to regulatory changes, reduction in the availability of RA supply due to the lack of
baseload generators statewide, and other macroeconomic issues. Thus, RCMU and other POUs
will only partially meet its PRM and RA requirements for 2024 and beyond.
RCMU’s efforts to purchase RA for 2024 and beyond included issuing two (2) joint requests for
proposal (RFPs) both of which were unsuccessful. One RFP received no responses and the
second RFP response was priced well above the acceptable dollar range as noted previously.
RCMU also participates in multiple utility-scale solar photovoltaic (PV) energy projects that
provide RA to the electric grid. However, the RA value of these solar PV resources has dropped
by 85% or more as solar PV is considered unreliable and inadequate as an RA resource due to
its intermittency. These experiences are not unique to RCMU and are consistent with those of the
Investor-Owned Utilities (IOUs) and CCAs.
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ANALYSIS:
There have been a multitude of legislative bills chaptered that directly affect POUs, such as
RCMU. A significant bill, AB 1373 makes numerous changes to the state’s energy policy. AB 1373
was recently highlighted in the Daily Bulletin newspaper titled, “California state government makes
energy more expensive with clean energy bill” dated September 28, 2023, and in a white paper
issued by the California CCA trade association titled, “California’s Constrained Resource
Adequacy Market” dated September 15, 2023.
AB 1373 was enrolled on September 22, 2023, and was chaptered upon the Governor’s signature
on October 7, 2023, and is effective immediately. The passage of AB 1373 creates the following
changes:
-Capacity Payment Mechanism (CPM) (2.0): Authorizes the Executive Director
of the California Energy Commission (CEC) to impose capacity payment penalties
on POUs that have not met their PRM when the state’s Strategic Reliability
Reserve (SRR) Program is used. The SRR was created to address electric
reliability during extreme summertime weather events. This will begin in 2024
and run through 2027. For reference, RCMU already has imposed upon it a
Capacity Payment Mechanism (CPM 1.0) through CAISO when the utility does
not meet the local Resource Adequacy Planning Reserve Margin minimum in the
CAISO’s monthly calculations. In CPM 1.0 when RCMU’s monthly local RA is
short in the overall CAISO system for the month, RCMU has to pay its pro-rata
share of the shortfall through the CPM 1.0 “penalty” of $6.31/kW/mo. CPM 2.0
will add to this requirement with additional capacity payment penalties.
-Central Procurement Mechanism: The Department of Water Resources
(DWR) will establish a process to centrally procure energy resources to help the
state meet its renewable and zero-carbon energy goals by procuring new
resource contracts and building new projects such as offshore wind. To
voluntarily participate, a local publicly owned electric utility shall commit to the
imposition of a non-by-passable charge on its ratepayers to fund participation in
the program. This State level procurement will likely begin in 2025 and sunset in
2035.
As the state energy policy legislative landscape continues to dramatically change, AB 1373
further exacerbates the RA situation:
•All POUs will be highlighted in a forthcoming report by the CEC on or before
January 31, 2024, that includes an assessment of whether each electric POU
exceeded, met, or failed to meet its minimum PRM and specified system RA
requirements from June 1, 2023, to September 30, 2023. This will create an
informational RA baseline statewide indicating those utilities who have not fully
met the RA requirements for 2023; however, the extent of the POUs and CCAs
that did not meet the RA requirements will be unknown until the statewide report
is released.
•No later than September 1, 2024, the CEC and CAISO shall determine if there
is a need for the procurement of eligible energy resources based on a review of
the Load Serving Entity (LSE) complying and progressing toward meeting the
portfolio resource standards.
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•Beginning in 2024, if RCMU is not meeting its minimum PRM, it will be required
to pay into the future CPM 2.0. The capacity payments will be applicable each
year beginning in 2024 through 2027. If DWR determines that resources it
procured through the Electricity Supply Strategic Reliability Reserve were used
in a given month to meet an LSE-identified reliability shortfall, then a capacity
payment will be assessed annually for each LSE by the CEC during that same
month it fails to meet its minimum planning RA requirements. Any monies
collected from RCMU and other LSEs/POUs through CPM 2.0 will be collected
from and deposited into two established State-run accounts. This includes the
Load-Serving Entity Capacity Payment Account and the Local Publicly Owned
Electric Utility Capacity Payment Account both of which go into the DWR
Electricity Supply Strategic Reliability Reserve Fund.
•The DWR will create the Central Procurement Mechanism as a state energy
project procurement entity to conduct one or more competitive solicitations and
enter contracts to procure eligible energy resources. It is estimated to begin in
2025 and sunset in 2035. RCMU will have the voluntary option to obtain eligible
energy resources acquired by the DWR through its Central Procurement
Mechanism on a contract-by-contract basis. The agreement shall have the force
and effect of an irrevocable financing order. If RCMU chooses to participate, the
cost of the Central Procurement Mechanism will be imposed as part of the
RCMU’s Power Cost Adjustment Factor (PCAF) charge on its ratepayers
beginning in 2025.
In essence, AB 1373 will not help RCMU or other electric utilities with its limited RA options in the
near term and will likely result in increased pricing to purchase this commodity. In the long term,
the creation of a Central Procurement Mechanism authority under DWR could be helpful in having
another energy procurement option for RCMU; however, having a new CPM 2.0 adds another
layer of state authority infringing upon the City Council’s authority over RCMU’s jurisdiction and
has the potential to increase costs to any entity subject to the CPM 2.0 requirements. RCMU will
continue to be diligent and exercise an “all options approach” to responsibly procure all resources,
including RA that serve our ratepayers while continuing to meet the state’s renewable and zero-
carbon energy goals. Meeting these RA requirements will continue to be challenging unless more
reliable resources come online soon or the State adjusts its overly ambitious and infeasible
timelines and goals.
FISCAL IMPACT:
Any wholesale power costs that are incurred will be passed to ratepayers through the established
Power Cost Adjustment Factor (PCAF). As a not-for-profit utility, RCMU only collects what is
necessary to recover our costs. RCMU is unable to forecast these estimates since it will be based
on current market rate conditions.
COUNCIL MISSION / VISION / VALUE(S) ADDRESSED:
This information supports the mid and long range planning council goals by providing a vision and
roadmap for the future outlook of RCMU.
ATTACHMENTS:
None.
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RCMU
Resource Adequacy (RA)
Impacts from
AB 1373
What is Resource Adequacy?
https://www.oppdcommunityconnect.com/po
wer-with-purpose
Historical Pricing of Resource Adequacy*
not including summer months
•RCMU issued two joint RFPs in 2023 both of which were unsuccessful. One RFP
received no responses, and the second RFP was priced well above our acceptable
dollar range.
•RCMU is part of the California Independent System
Operator (CAISO), and if the RA is not collectively met,
RCMU pays our pro rata share of the shortfall.
•RCMU and other small POUs rely on the larger utilities
with greater buying power to shoulder the RA load.
•If the collective RA is not met, RCMU pays the CPM penalty
of $6.31 per kW per month. This has only occurred 3 times
since RCMU’s inception in 2004.
•Historically, RA during summer months has been
unavailable for 2-3 years.
•Passage of AB1373 is an additional layer, namely, Capacity
Payment Mechanism 2.0 which will be another penalty
assessed during June – September for not meeting RA
capacity. This will be assessed on each individual POU.
Capacity Payment Mechanism (CPM)
Central Procurement Mechanism
•AB1373 authorizes the Department of Water Resources (DWR) to centrally
procure energy resources to help the state meet its renewable and zero-carbon
energy goals.
•From 2025 through 2035, DWR will solicit renewable energy contracts.
•RCMU and other POUs could contract directly with DWR to purchase RA, instead
of issuing our own RFPs.
•AB1373 includes an appropriation of six million dollars ($6,000,000) will support
comprehensive, regional baseline environmental monitoring and research into the
impacts of prospective offshore wind energy development, which is the
Governor’s goal.
Fiscal Impact
•Electric Providers will pay more to meet RA obligations through issuing RFPs.
•Utilities will be assessed CPM penalties through CAISO to meet RA obligations
both on a collective and individual basis.
•Either way, electricity ratepayers will pay a higher cost for electricity.
•This increased cost will be assessed through the Power Cost Adjustment Factor
(PCAF).
Summary
•AB1373 will not immediately help electric utilities with its limited RA
options.
•The Capacity Payment Mechanism 2.0 adds another layer of State
authority infringing upon a Publicly Owned Utility (POU) jurisdiction.
•RCMU will exercise an “all options approach” to responsibly procure RA
to meet the state’s renewable and zero-carbon energy goals.
•These RA requirements will be challenging to meet unless more reliable
and clean resources come online soon, or the State adjusts its overly
ambitious and infeasible timelines.
•The Central Procurement Mechanism via Department of Water
Resources (DWR) could help to have another energy procurement
option.