Maine Power Express, LLC Response to Request for Comments December 28, 2016

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Maine Power Express, LLC Response to Request for Comments December 28, 2016 1. Please provide the following information with your comments: a. Name of Organization i. Maine Power Express, LLC ( MPX ) b. Type of Organization (Public/Industry/Advocacy/Other) i. Industry Independent Transmission Development Company 2. Section 83D of Chapter 169 of the Acts of 2008 ( Section 83D ), as amended by Chapter 188 of the Acts of 2016, An Act to Promote Energy Diversity, requires a solicitation be issued by April 1, 2017, including a timetable for the procurement. What is the appropriate amount of time needed by bidders between the issuance of the solicitation and the date for submission of proposals? a. 90-120 days 3. Section 83D contemplates that the electric distribution companies operating in Massachusetts ( EDCs ) will solicit bids to enter into cost-effective long-term contracts for clean energy generation. Clean energy generation means either: (i) firm service hydroelectric generation from hydroelectric generation alone; (ii) new Class I renewable portfolio standard ( RPS ) eligible resources that are firmed up with firm service hydroelectric generation; or (iii) new Class I renewable portfolio standard eligible resources. As recognized in Subsection (h) of Section 83D, a longterm contract for clean energy generation may also include, in addition to the procurement of energy, the procurement of renewable energy certificates ( RECs ) attributed to Class I RPS eligible resources, and renewable energy certificates not attributed to Class I RPS eligible resources (e.g., those generated by firm hydroelectric generation); hereinafter referred to as environmental attributes associated with non-class I RPS eligible resources. Please discuss the methodology that the Section 83D bid evaluation process should use to value the environmental benefits associated with either RECs attributed to Class I RPS eligible resources or the environmental attributes associated with non- Class I RPS eligible resources. Your discussion should address the following: a. Please describe the quantitative methods that the Section 83D bid evaluation process should incorporate for the purposes of evaluating the monetary value of the environmental attributes of RECs attributed to new Class I RPS eligible resources and environmental attributes associated with non- Class I RPS eligible resources. i. N/A - MPX is a Transmission Solution; question applies to Energy Generators using MPX 1

b. Explain how your recommended methodology for the quantification of the monetary value of environmental benefits associated with RECs attributed to new Class I RPS eligible resources and environmental attributes associated with non- Class I RPS eligible resources: (i) treats Class I eligible resources and hydroelectric generation equitably; and (ii) does not result in double counting of environmental benefits. i. N/A c. Explain whether you propose to incorporate the avoided compliance costs of Chapter 298 of the Acts of 2008, Global Warming Solutions Act ( GWSA ) into your recommended methodology for quantification of the environmental benefits associated with RECs attributed to new Class I RPS eligible resources and environmental attributes associated with non- Class I RPS eligible resources. i. N/A 4. Section 83D long-term contracts have the potential to provide the carbon reduction emissions needed to meet the Commonwealth s 2020 GWSA goals. How can the procurement be best structured to incentivize and reasonably value bids whose carbon reduction contributes to meeting 2020 GWSA goals? How can the evaluation incentivize and reasonably value bids that propose to offer clean energy delivery that maximize contributions to the 2020 GWSA goals by delivering incremental new clean energy in 2017, 2018, and/or 2019? a. The timing of this RFP process will likely not allow for projects to deliver energy in 2017. If the Commonwealth truly expects projects to deliver new incremental energy by 2020, a significantly expedited permitting process would need to be employed by Federal agencies and the agencies of the state(s) hosting the generation and/or transmission project(s). This expedited permitting process would incentivize bidders to propose bids to meet 2020 targets. However, the evaluation must also look beyond 2020 and value projects offering longer-term solutions. 5. Section 83D requires a long-term contract to utilize an appropriate tracking system to ensure a unit specific accounting of the delivery of clean energy, to enable the department of environmental protection, in consultation with the department of energy resources, to accurately measure progress in achieving the commonwealth s Global Warming Solutions Act ( GWSA ) goals under chapter 298 of the acts of 2008 or chapter 21N of the General Laws. What requirements should be imposed on bidders so that, if selected, they are able to enter into long-term contracts that utilize an appropriate tracking system that ensures the procured clean energy can be counted towards GWSA compliance? a. N/A 2

6. Please respond to the following questions regarding the evaluation of the potential benefits associated with a clean energy generation unit s ISO-NE market qualifications other than the energy and REC markets in the Section 83D solicitation process. a. Should the Section 83D bid evaluation process attempt to quantitatively evaluate the potential benefits associated with a clean energy generation project s potential qualification and participation in other ISO-NE markets, (e.g., the forward capacity market or ancillary services market)? i. Yes b. Although capacity is not being purchased under the procurement, electric customers may benefit if a project provides a capacity resource to the region and eliminates the need to purchase other additional capacity from the market. Should the bid evaluation consider such potential benefits of capacity? i. Yes c. With respect to evaluating capacity, one potential approach is to have the resource bid its capacity and take the financial risk of qualifying and clearing their capacity in the market. Another potential approach is to ascribe a capacity value based on technology to all resources with the expectation that if capacity revenue is sufficient, resources will have an incentive to pursue a Capacity Supply Obligation. Please explain how the evaluation process might appropriately consider and quantitatively evaluate the potential costs, benefits, and risks of each approach. i. N/A. However, MPX recommends limiting development-stage risk and exploring the second approach described (ascribing a capacity value). 7. Project viability is an important consideration in the evaluation of a Section 83D bid. The ability of a clean energy generation project to achieve interconnection and be deliverable into the region can significantly impact the viability of the project. In addition, interconnection costs associated with clean energy generation can vary widely, and can change significantly over time. Please address the following questions: a. How should the procurement be structured to allow reasonable evaluation of bids that have not completed the ISO-NE I.3.9 process? i. MPX is currently engaged with ISO-NE in the I.3.9 process. Proposals should be evaluated based on their position in the queue (both Generation and Elective Transmission Upgrade interconnection requests). Projects at a more advanced stage should be ranked higher than those at an early stage. 3

b. For bids that have not completed the ISO-NE I.3.9 process, what information, such as technical reports or system impact studies that closely approximate the ISO-NE interconnection process, should the procurement require from bidders to allow a complete evaluation of bids and associated risks, costs, and benefits? i. The procurement should not require system impact study reports that closely approximate the ISO-NE interconnection process. This could potentially lead to wildly conflicting basecase assumptions by the various bidders. Rather, the evaluation team should seek out guidance from ISO-NE regarding the fundamental status of each projects interconnection process. c. What documentation and information should the procurement require bidders to provide in order to demonstrate that its project is viable from the interconnection process and ISO-NE PTF deliverability standpoint? i. Bidders should provide a I.3.9 status report with their strategy for completing the study and understanding of potential costs/benefits. In addition, ISO-NE objectively should provide a status report of each project s I.3.9 process including queue position rankings, current demand on the interconnection point and status of current reliability projects in the appropriate zones. d. What documentation should the procurement require bidders to provide that demonstrates the reasonableness of their estimates for interconnection and deliverability costs? What other cost containment information should bidders be required to provide to allow a complete evaluation of bids and associated risks, costs, and benefits? i. MPX anticipates providing not to exceed EPC pricing provisions including possible schedule commitments. 8. The Section 83D bid evaluation process will require a careful review of any transmission costs associated with a bid. Please respond to the following questions relating to the evaluation of any transmission related costs: a. What documentation and information should bidders provide in order to demonstrate the reasonableness of their transmission costs estimates included within a bid? i. Bilateral Contract or Option between Shipper and MPX. EPC estimates, pro forma model (development, construction, schedule and operational cost estimates). b. Please describe in detail how transmission cost risks should be analyzed in the quantitative portion of the bid evaluation. 4

i. Cost mitigation measures provided by developers and transmission solutions should receive substantially higher scores in the evaluation process than those who cannot or do not provide such measures. For example, MPX anticipates providing not to exceed Pricing for Transmission. c. What type of cost containment features might a bidder use to ensure that transmission cost overruns, if any, are not borne by ratepayers as required by the statute? i. MPX anticipates providing not to exceed EPC Pricing for Transmission and certain schedule commitments. 9. Should the bid evaluation process allow repricing, and if so, how would you structure bidder repricing to ensure that the initial and final bid is a lowest priced bid? a. The evaluation process should not allow repricing. 10. Section 83D requires that the clean energy resources to be used by a developer under the proposal to guarantee energy delivery in winter months. How would bidders demonstrate that proposed long-term contracts can meet this requirement? How should the evaluation process consider bids that cannot demonstrate an ability to meet this requirement? a. MPX anticipates that a Bilateral Contract between MPX and Generators will incorporate take-or-pay, force majeure and other standard contract conditions. MPX Generator/Shippers can address their delivery issues. b. Those bidders who cannot demonstrate an ability to meet the requirements should receive either a failing score or a substantially lower score on that attribute than those who can demonstrate winter delivery capabilities. This should be one of the distinguishing factors of a winning bidder s proposal. 11. Section 83D requires the DOER to give preference to clean energy generation bids that combine new Class I renewable portfolio eligible resources and firm hydroelectric generation and demonstrate a benefit to low-income ratepayers in the Commonwealth without adding cost to the project. Please describe how the procurement should be designed to give preference to such bids, and the minimum requirements a bidder should demonstrate to meet this standard. a. A scale system should be created in the bid requirements based on a sliding scale that is desired by the Commonwealth. The closer the bidder s proposal to the ratio of hydro/renewables so desired, the higher the scoring attributable to that bidder for this attribute. 5

12. Section 83D requires the solicitation and consideration of proposals for long-term contracts for a period of 15 to 20 years for clean energy generation. Does 83D allow for the solicitation and consideration of proposals, as one form of bid, in the form of a delivery commitment model approach as contained in the New England Clean Energy RFP (available at: https://cleanenergyrfpdotcom.files.wordpress.com/2015/11/clean- energy-rfpfinal-111215.pdf). If so, should such proposals be allowed in response to this Section 83D procurement, and do you think the ability to submit such proposals would potentially be utilized by bidders? Would your firm potentially submit such a proposal if allowed as an option? a. MPX does not believe that Section 83D allows for a delivery commitment model. At this time, MPX does not anticipates proposing a delivery commitment model for the energy delivered over the line, but that will be determined pending the final form of the RFP in collaboration with generation partners. 13. Section 83D permits firm service hydroelectric generation from hydroelectric generation, new Class I RPS eligible resources that are firmed up with firm service hydroelectric generation or new Class I renewable portfolio standard eligible resources to qualify for a long-term contract. Please discuss any quantitative bid evaluation methods not yet discussed in your comments that would be beneficial to incorporate into the quantitative portion of the Section 83D bid analysis to ensure that the value of firmness is adequately captured. a. For transmission line proposals, the capacity factor of the line should be quantified and those with higher capacity factors be attributed a higher ranking. Lines proposing only wind will have a significantly lower capacity factor than those with both wind and either balancing or firm hydro. 14. Resource flexibility the ability to ramp up and down in response to contingencies is a potential consideration in the evaluation of Section 83D bids. With increasing intermittency in both load and generation, resources with the ability to respond to system contingencies, extreme events, and load/generation intermittency can help avoid reliability issues and mitigate the impact of price spikes to customers. How should the evaluation team quantify the impact of resource flexibility? How should the evaluation be designed to give preference to resources that provide such flexibility? a. Assuming the ratio of firm hydro to variable renewables is determined, those who achieve or closely approximate the desired ratio of firm to variable, should be regarded with a substantially higher score on that attribute. Providing the Commonwealth with flexibility during emergencies and other events should be rewarded above those who cannot provide such service. 6