{"id":5092,"date":"2019-12-17T16:59:21","date_gmt":"2019-12-17T16:59:21","guid":{"rendered":"https:\/\/www.electroroute.com\/?p=5092"},"modified":"2020-01-14T15:25:23","modified_gmt":"2020-01-14T15:25:23","slug":"ress-1-terms-conditions","status":"publish","type":"post","link":"https:\/\/electroroute.com\/ress-1-terms-conditions\/","title":{"rendered":"RESS 1- Terms & Conditions"},"content":{"rendered":"
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Last Friday 13th<\/sup> December, the Department of Communications, Climate Action and the Environment unveiled the Draft Terms and Conditions (T&Cs) for the Forthcoming Renewable Electricity Support Scheme (RESS) 1 auction, expected to take place in June 2020.<\/strong><\/p>\n <\/p>\n In our latest ElectroRoute Insights<\/em>, we provide a high-level overview of some key highlights contained within the paper;<\/p>\n The RESS support will be administered via the renewable generator contracting directly with a Supplier, similar to that of the REFIT scheme. This structure provides RESS recipients the option of entering into a Power Purchase Agreement (PPA) with an existing supply company like ElectroRoute Energy Supply Limited, or in adopting a Supplier Lite approach.<\/p>\n <\/p>\n RESS 1 intends to support projects up to 31\/12\/2037 (with a further year extension available where a Force Majeure has successfully been claimed prior to achieving Commercial Operation).<\/p>\n Subsidy support is available from 1 July 2021 if a project is ready (although the period from 1 July to 30 September 2021 will need to be claimed back in the RESS Reconciliation process as payments will only commence to be made from 1 October 2021.<\/p>\n <\/p>\n For Variable Generation Projects<\/em><\/strong>: hourly Day Ahead Market (DAM) Price, and<\/p>\n For Non-Variable Generation Projects<\/em><\/strong>: time weighted average DAM price over the course of the PSO year (i.e. Baseload price)<\/p>\n <\/p>\n The RESS contract will be a 2-way Contract for Difference (CfD) whereby;<\/p>\n <\/p>\n Unlike the existing REFIT scheme, the T&Cs suggests that support will be calculated with reference to Loss-Adjusted Metered Quantity rather than giving generators the option of Metered Quantity.<\/p>\n <\/p>\n Where the ex-ante assessment of PSO amounts calculates that there is likely to be an amount due from a Supplier in respect of a forthcoming PSO year (i.e. where market revenues are expected to exceed the Strike Price) , the Supplier is expected to make payments to the TSO, as opposed to receiving them.<\/p>\n <\/p>\n The T&Cs indicate that the RESS Letter of Offer may be transferred to another Supplier in the event that the \u201coriginal Supplier is unable to perform its obligations under the RESS 1 PPA or these RESS Terms & Conditions\u201d<\/em><\/p>\n <\/p>\n There will be a one-time opportunity for a Generator to leave the RESS 1 scheme throughout the term of support. The project must give 12 months\u2019 prior written notice and evidence that the Supplier to the PPA agrees to the withdrawal. The withdrawal will take effect from the first day of the new PSO Levy period.<\/p>\n <\/p>\n The Department have introduced a metric to compensate for curtailment where there has been in excess of 10% curtailment for two consecutive Levy Periods. This will be measured by the TSO who will deliver a report for each RESS 1 participant annually. The TSO will detail the total curtailed volume that was not compensated through another scheme (other schemes being undefined).<\/p>\n Whilst the detail requires further clarification, the idea seems to be to compensate generators for the portion above 10% curtailment and paragraph 5.6.2 states;<\/p>\n \u201cThe Curtailment Compensation Arrangements will set out the calculation \u2026 of the level of additional compensation (if any) that is consistent with a Curtailment level limited to a maximum of 10% for that RESS 1 Project in that year\u201d<\/em><\/p>\n It is for clarification if this should be interpreted as paying for levels of compensation greater than 10% and limited to a further 10% of total output.<\/p>\n The principles however are clear, the Minister has indicated a desire to support projects which are seeing excessive levels of curtailment over a sustained period.<\/p>\n <\/p>\n The T&Cs outline a preference for a designated volume of renewable energy from both Community led projects and Solar projects.<\/p>\n For Community led[1]<\/a> projects, a preference is given for up to 30GWh and for Solar[2]<\/a> projects, a preference will be given for up to 300GWh.<\/p>\n By including a project in a Community led Preference category, the project cannot compete in the second (Solar) or third preference (All Projects[3]<\/a>).<\/p>\n <\/a><\/p>\n <\/p>\n RESS 1 is not linked to a market-clearing mechanism and is therefore a simple, sealed bid auction which awards on the basis of Pay as Bid methodology.<\/p>\n The contract award will not be inflation linked.<\/p>\n At ElectroRoute, we are currently designing innovative and bankable route to market solutions for auction participants that provide flexibility and certainty.\u00a0 We look forward to engaging with the renewable industry on balancing and other products in the months to come as the June 2020 deadline for the auction comes closer.<\/p>\n <\/p>\n [1]<\/a>Limited between 1-5MW in size. Defined as a project which is 51% by a Renewable Energy Community, with minimum 150 shareholders and an allotted share capital of maximum \u20ac20,000<\/p>\nStructure<\/h5>\n
Support Duration<\/h5>\n
RESS 1 Reference Price<\/h5>\n
Calculating RESS PSO Monies<\/h5>\n
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Payments from Suppliers to the PSO<\/h5>\n
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Moving Suppliers during the RESS Contract Term<\/h5>\n
Leaving the RESS 1 Scheme<\/h5>\n
Curtailment Compensation<\/h5>\n
Preference Categories<\/h5>\n
Auction Offer Process<\/h5>\n
References<\/h6>\n