Policy Models for Distribution Reforms
Presented by:R.R. MehtaPresident- Reliance Infrastructure Limited
‘Multiple Licensing Arrangement’
Confidential Slide
Agenda
Regulatory and Policy Support for Competition
Policy Model for Distribution Reform
International Experience
Conclusion
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Confidential Slide
Regulatory and Policy Support for CompetitionLegal & Regulatory Support Section 2(17): "distribution licensee" means a licensee
authorised to operate and maintain a distribution system for supplying electricity to the consumers in his area of supply;
Section 2(47): “open access” means the non-discriminatory provision for the use of transmission lines or distribution system or associated facilities with such lines or system by any licensee or consumer or a person engaged in generation in accordance with the regulations specified by the Appropriate Commission;
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Consumers served by Distribution Licensee (Wire + Retail) or Open Access
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Policy Models for Distribution Reform Status of ‘Parallel Distribution Licensing’ in EA 03
Section 14(6th Proviso): ………………………………………………………………………...
………………………………………...…………..……Provided also that the Appropriate Commission may grant a licence
to two or more persons for distribution of electricity through their own distribution system within the same area, subject to the conditions that the applicant for grant of licence within the same area shall, without prejudice to the other conditions or requirements under this Act, comply with the additional requirements relating to the capital adequacy, creditworthiness, or code of conduct as may be prescribed by the Central Government, and no such applicant, who complies with all the requirements for grant of licence, shall be refused grant of licence on the ground that there already exists a licensee in the same area for the same purpose
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More than one Licensee, however, each licensee to supply through its own network
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Regulatory and Policy Support for CompetitionLegal & Regulatory Support Section 43
“(1) Save as otherwise provided in this Act, every distribution licensee, shall, on an application by the owner or occupier of any premises, give supply of electricity to such premises, within one month after receipt of the application requiring such supply……….
(3) If a distribution licensee fails to supply the electricity within the period specified in sub-section (1), he shall be liable to a penalty which may extend to one thousand rupees for each day of default…”
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All licensees in an area obligated to supply on request (USO)
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Policy Models for Distribution Reform Judgments strengthening ‘Open Access’
Appeal No 132 of 2011……(B)Various provisions of the 2003 Act as well as 1910 Act required a
distribution licensee to lay down its own distribution network for meeting the universal service obligation to consumers. TPC, the distribution licensee who had been granted license in the year 1907 and who failed to lay its own distribution network cannot now claim right over the distribution network of other licensee to meet its universal service obligations.
(C) The only method to use the network of the Distribution Licensee namely RInfra, by the another Distribution Licensee namely TPC, is only through open access under Section 42 of the Act. Section 42(3) envisages the existence of parallel distribution licensee and it is equally applicable in this case where a consumer connected to the network of one distribution licensee i.e. RInfra, takes power from other distribution licensee i.e. TPC in the same area of supply.
(D) The State Commission does not have any plenary power to permit something which is not permitted within the Act itself. In this case, there is specific provision for Open Access to allow the TPC to supply to the change over consumers by using the network of RInfra. Hence, the question of invoking plenary powers does not arise
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As held in RInfra – TPC matter : TPC usage of RInfra network under Open Access as an interim step
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Policy Models for Distribution Reform
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Competition in Distribution
Objective
Wire- Retail Separation (Open Access)
Options Available
Multiple Licenses (Wire + Retail)
Policy Models
Single Wire (Regulated) - Multi Retailer (un-regulated)
Single Wire (Regulated) – 1 Retailer (Regulated),
Multi retailer (un-regulated)
Multiple license in Common Area of Supply
e.g. Mumbai • Choice to Consumer
• Cheaper and Reliable electricity supply
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Policy Models for Distribution Reform
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Competition in Distribution
Objective
Wire- Retail Separation (Open Access)
Options Available
Multiple Licenses (Wire + Retail)
Policy Models
Single Wire (Regulated) - Multi Retailer (un-regulated)
Single Wire (Regulated) – 1 Retailer (Regulated),
Multi retailer (un-regulated)
Multiple license in Common Area of Supply
e.g. Mumbai • Choice to Consumer
• Cheaper and Reliable electricity supply
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Policy Models for Distribution Reform Multiple Licensee (Wire + Retail)’
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Benefits
• True Implementation of EA 03
• Freedom to Consumes for choosing their electricity service provider
• Encouraging Competition in Distribution
Issues
• How to recover the Stranded Cost of assets and contracts?
• Doesn’t it leads to duplication of costly and limited resources?
• Whether same consumers need to pay twice for similar asset made to serve similar purpose?
• Whether past liabilities of consumers post shift over to other licensee eliminates?
Competition enabled through Duplication of Resources – Uneconomic & embedded Implementation Constraints
• How to ensure financial stability of licensees in political sensitive, socio-economic and non-periodic tariff design framework?
• Elimination of Subsidy/Cross-subsidy
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Policy Models for Distribution Reform
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Competition in Distribution
Objective
Wire- Retail Separation (Open Access)
Options Available
Multiple Licenses (Wire + Retail)
Policy Models
Single Wire (Regulated) - Multi Retailer (un-regulated)
Single Wire (Regulated) – 1 Retailer (Regulated),
Multi retailer (un-regulated)
Multiple license in Common Area of Supply
e.g. Mumbai • Choice to Consumer
• Cheaper and Reliable electricity supply
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Policy Models for Distribution Reform ‘Open Access with Wire –Retail Separation’
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Open Access creates Market and enables Choice to Consumer through Competition, the need is to address the issues
Benefits Issues
Ensure Non-discrimination in access to required Infrastructure
• Requires unbundling of costs and tariffs for network services
• Requires further managerial and financial segregation of network and retail business
• Recognise electricity transaction follow electrical rather than boundary
• Initiate with administered market and then gradually move to free market
• Develop infrastructure to alleviate long-run constraints
• Ensure flexibility in transmission capacity and tariff
• Address the issue of stranded cost and asset• Extent of “USO”
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Policy Models for Distribution Reform ‘Open Access with Wire –Retail Separation’
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Consumer Mix Cross Subsidy
Recommendations
Issues - Recurring
• EA 03 mandates for USO (i.e. choice of consumer not available with licensees)
• Skewed Consumer mix due to dominant agricultural, domestic consumer
• Consumer Mix with varying affordability to pay
• Tariff structure itself promotes cross-subsidisation
• Mandate of EA 03 and TP not yet realised to eliminate or reduce
• Cross subsidy will prevail till Cost of Supply tariff approach is not followed in practice
• 1 Wire, 1-Default Retailer (to avoid cost burden on lower end consumer) and multiple retailer (operating as deregulated market)
• Subsidy support to regulated market either through government or through adequate CSS from deregulated market
Confidential Slide
Policy Models for Distribution Reform ‘Open Access with Wire –Retail Separation’
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Recommendations
Issues – One Time
• Past Revenue Gaps (Regulatory Assets)• Stranded Power Purchase Contracts• Transfer Scheme for allocation of assets and liabilities
between wires and retail
• Defining a Charge to be recovered from all consumers of wire licensee
• Capacity not absorbed by other retailers to be recovered by way of Additional Surcharge from Contestable consumers
• Appropriate Transfer scheme to be defined
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Policy Models for Distribution Reform Distribution Reform through ‘Open Access with Wire –Retail Separation’
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Phase I: Institutional Framework•Unbundling retail –wire functions with distinct licensing arrangement
• Identification of Contestable and Non-contestable market
•Mechanism of voltage and category wise loss assessment
•Responsibility allocation of technical losses to wire operator and commercial losses to retailers
•Mechanism to allocate the financial losses among wire and retail
•Infrastructure strengthening in form of Advanced metering and site identified technical loss correction
•USO applicability to retailers
Phase I: Development of
Institutional Framework
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Policy Models for Distribution Reform ‘Open Access with Wire –Retail Separation’
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Phase II: Introduction of Competition in
Retail
Phase II: Introduction of Competition in Retail•Ownership transfer and ring-fenced arrangement between wire and retail
•Multi-retailers in contestable market to operate on commercial principles under non-regulated atmosphere
•Default retailer in identified category and wire operator to operate under regulated atmosphere
•SERCs to ensure adequate, transparent and cost-reflective tariff (i.e. including OA Charges) to regulated entities viz., default retailer
•Allocation of PPA among retailers post meeting requirement of regulated default retailer
•Choice based retailing to be discouraged
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International Experience International Experience in Retail Competition
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Business Model
Countries
Comments
Model A
Source: Mckinsey Presentation on Distribution Reforms Options
PortugalItaly
Spain
Different Leadership possibilities of overall
retail business
Competitive Retailer
Distributor(incl.
default retailer)
Model B
Great BritainGermanyBelgium
Ring-fenced Business with no overlapping of
rights and responsibilities
Retailer for all market
Distributor(only wires)
Model C
Germany (small distributors)Italy (small distributors)
Pre-competitive scenario for almost all countries
Distributor(Wire and Retailer for all
market
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International Experience International Experience in Retail Competition: Australia
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Distribution and Retail Supply in
each State
First Tier Retailers
Second Tier Retailers
• Attached to Distribution business with geographical monopoly in that state
• They can sell throughout state irrespective of consumer location
• Retail business is ring –fenced from distribution business
• Standalone businesses not attached to distribution business
• They can sell throughout state irrespective of consumer location
• They may be first-tier retailer in other state
• Retail Market is partly competitive and partly operate on Franchise basis
• In competitive retail market retailer compete to Large customer preferring
not to reach wholesale market
Small customer opting out their choice of supply from First tier retailer
• In NEM operated states, first retailers can sell to all consumers at prices controlled by Regulator
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International Experience International Experience in Retail Competition: New Zealand
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Distribution Business
Line Business
Supply Business
• 29 Line companies own the local networks and operate as monopolies and all connected to National Grid
• Line companies sell their line services to retailers who manage electricity supply to end consumers
• Network operators are subject to targeted price control regime
• Complete contestable retail segment and no USO
• Extended deregulated retail market• Regulator’s role limited to
providing arrangements for the protection of consumers, as well as administering retail market rules
• Common ownership of distribution and either of retailing and generating business is prohibited
• Extent of retail competition varies across the country, customers have a choice of retailers
• Retail tariffs are not subject to price control
• Free web-based tools are also available to help residential users to shop around
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International Experience International Experience in Retail Competition: United Kingdom
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Private Electricity Supplier
Inter-connector
Supply
• They provide Overhead lines and under sea lines connecting the transmission networks in different countries
• Retail market opened in stages for large, medium users and for residential users
• Customers free to choose supplier• Competition in metering services
• Regulatory office of OFGEM have Market monitoring role
• Statutory duty on Distribution Network Owner to connect any customer requiring electricity within a defined area, and to maintain that connection
• DNO recovers charges for system, connection and balancing
Distribution Network Owner
• Natural Monopoly and licensed activity
• Prevented from supplying electricity to consumers
• Regulated through 5 year control periods on PBR principles