Hearing on Clean Energy Jobs Act bill trivialized Advanced Renewable Tariffs

January 28, 2010

Senator Jeff Plale
Room 313 South, State Capitol
Madison, WI 53708

Senator Mark Miller
Room 317 East, State Capitol
Madison, WI 53708

Dear Senators Miller and Plale:

Thank you for holding a hearing yesterday of the Select Committee on Clean Energy on SB 450 (the Clean Energy Jobs Act bill). You heard a great deal of substantive commentary about much of the bill, particularly the sections dealing with energy efficiency and the expanded Renewable Energy Standard.

Unfortunately, the same cannot be said for the discussion on the proposal to institute Advanced Renewable Tariffs in Wisconsin. Early in the hearing, a speaker framed the issue as “asking a little old lady in Cudahy to subsidize an expensive system in Mequon.” From that point, the discussion devolved into a kind of semi-orchestrated gang-tackling on this issue that continued unabated until I was called upon to speak, some seven hours and forty five minutes after the hearing began. While RENEW members who work for or with solar, wind and biogas energy installation companies were present during the hearing and had registered to speak, none were called prior to myself. All but two (Full Spectrum Solar and Ed Ritger) had to leave before the hearing ended.

Now, I don’t believe the first speaker, a labor leader, had intended to belittle the companies that install customer-sited renewable energy systems or dismiss their contribution to Wisconsin’s economy and environment. Nevertheless, the “little old lady from Cudahy” theme took a life of its own, and as a result, the very important issues of how to support these systems through utility rates and whether these rates should be mandated had become thoroughly trivialized by the end.

Allow me to repeat some of the points I made at yesterday’s hearing:

1. The vast majority of the distributed renewable generating units installed in Wisconsin serve schools, dairy farms and other small businesses, churches and local governments.

2. Utilities are not in the business of installing these systems themselves.

3. In many cases the renewable energy installation went forward because there was a special buyback rate available to accelerate the recovery of the original investment made by the customer. Yesterday, I gave the example of the Dane County community anaerobic digester project that, once operational, will treat manure taken from several nearby dairy farms in the Waunakee area and produce two megawatts of electricity with it. The electricity will be purchased by Alliant Energy through a voluntary biogas tariff worth 9.3 cents/kWh. Unfortunately, Alliant’s biogas program is fully subscribed and is no longer available to other dairy farmers, food processing companies and wastewater treatment facilities served by Alliant.

4. Companies that install solar, wind and biogas energy systems are quintessentially small businesses, many of them family-owned. Renewable energy contractors and affiliated service providers constitute one of the few market sectors where young adults who have acquired the necessary skills to do the job well can find meaningful work at decent pay.

5. By its very nature, distributed renewable energy delivers nearly 100% of its economic punch to the local economy.

In stark contrast to other states, Wisconsin has a well developed market structure for supporting small-scale renewables. Through the ratepayer-funded Focus on Energy program, there is in Wisconsin a human infrastructure that trains and educates thousands of young people to work in the renewable energy arena. Indeed, Wisconsin is a leader in this area. Our expectation is that these workers will apply their skills in the state, fabricating and installing renewable energy equipment in a thoroughly professional manner.

But if we don’t take equal care to create and sustain demand for their skills and services, these workers are apt to leave the state for greener pastures, and Wisconsin’s investment in their education will have gone unpaid. This is why the issue of Advanced Renewable Tariffs is so important to RENEW members.

The question of how to sustain and broaden the distributed generation marketplace is a serious matter that deserves careful consideration by the Legislature. As I mentioned yesterday, RENEW Wisconsin has a wealth of experience and expertise in designing forward-looking renewable energy policies, examples being the Act 141 renewable energy standard and We Energies’ voluntary renewable energy program, the most ambitious and innovative of its kind in the state.

We at RENEW would greatly appreciate the opportunity to meet with you and suggest some alternative approaches in the Advanced Renewable tariffs section that we believe would end the impasse between utilities and clean energy advocates and put the distributed energy sector on a sustainable growth trajectory. We would like very much the opportunity to discuss our alternative approach and provide any assistance you require in forging an acceptable compromise with the utilities.

One final point: yesterday you heard several utilities recommend that the Legislature strip out the Advanced Renewables Tariff section. RENEW urges you not to heed their advice. While we would support a reworking of this section, we cannot support abandoning this initiative altogether and cannot further support a bill that is silent on policies to advance the distributed energy marketplace. That is a bottom-line priority with us.

Sincerely,

Michael Vickerman
Executive Director

RENEW denounces WMC’s “fact-free flip-flop” in radio ad on energy bill

IMMEDIATE RELEASE
January 21, 2010

MORE INFORMATION
Michael Vickerman
RENEW Wisconsin
608.255.4044
mvickerman@renewwisconsin.org

RENEW denounces WMC’s “fact-free flip-flop” in radio ad on energy bill
RENEW Wisconsin’s Executive Director Michael Vickerman assailed the credibility of a new radio ad launched by Wisconsin Manufacturers and Commerce (WMC) that characterizes the Clean Energy Jobs Act bill as an unaffordable extravagance.

“WMC executed an astonishing fact-free flip-flop with its claim that the legislation (AB 649/SB 450) would raise an average family’s electricity bill by more than $1,000 a year. What’s astonishing about it that WMC is conveniently forgetting existing ratepayer protections, which it endorsed – and claimed credit for — when similar legislation passed in 2006,” Vickerman said.

When the state’s current renewable portfolio standard (RPS) was passed (which directed utilities to source 10 percent of their electricity from renewable generation by 2015), WMC ran an article on its website with the headline “’Energy Efficiency and Renewables Act’ Will Protect Ratepayer Dollars.” That article can be accessed at http://www.wmc.org/display.cfm?ID=1256.

The article says that WMC was instrumental in ensuring that “ratepayer groups will have a clear opportunity to seek delays in the implementation of new renewable portfolio standards, should they have an unreasonable effect on electric rates.”

The Clean Energy Job Act bill would continue those ratepayer protections enacted in 2005 Act 141. So far no utility or energy advocacy group has requested an implementation delay under the current renewable energy standard.

In order for an average family’s bill to increase $1,000 a year, according to Vickerman, electric rates would have to double.

“That will never happen because groups like WMC, Citizens Utility Board, and the Wisconsin Industrial Energy Group would intervene aggressively on behalf of their member using the existing ratepayer protections,” Vickerman stated.

Since the adoption of Act 141’s renewable energy requirements, Madison Gas and Electric’s residential ratepayers have seen annual increases of only 0.8 percent through 2009, even though the utility is already in compliance with the 2015 standard, added Vickerman.

“This outrageous claim is just another example of WMC’s decision to lob grenades instead of working constructively to forge a responsible partnership with all parties to create family-supporting jobs in the clean energy sector,” Vickerman said.

“It’s clear that WMC made up its mind to oppose the Clean Energy Jobs Act bill long before its contents were even known to the public,” Vickerman stated.

“There is no more obvious proof of this than WMC’s sponsorship of a so-called study by the Wisconsin Pubic Research Institute (WPRI) that claims that the bill’s provisions to expand renewable energy supplies would cost utilities $16 billion.”

RENEW previously critiqued the WPRI report in a report titled “Think Tank Flunks Renewable Energy Analysis.” (https://www.renewwisconsin.org/2009/12/think-tank-flunks-renewable-energy_22.html)

“WPRI’s assertions demonstrate yet again that if you torture your economic models long enough, they will confess to anything,” Vickerman said.

END
RENEW Wisconsin is an independent, nonprofit 501(c)(3) organization that acts as a catalyst to advance a sustainable energy future through public policy and private sector initiatives.

Wind Project Approval Will Recharge State’s Economy

IMMEDIATE RELEASE
January 11, 2010

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Michael Vickerman
RENEW Wisconsin
608.255.4044
mvickerman@renewwisconsin.org

Wind Project Approval Will Recharge State’s Economy
RENEW Wisconsin hailed today the Public Service Commission’s approval of what will become the state’s largest wind farm to be built in Columbia County.

Known as Glacier Hills, the proposed 90-turbine project will produce approximately 400 million kilowatt hours of clean renewable electricity annually, while directing $648,000 a year in local aid payments to Columbia County and the townships of Randolph and Scott.

“This project is certain to deliver a shot in the arm to wind-energy equipment suppliers, skilled laborers, and construction contractors throughout the state, not to mention area landowners and local governments,” said Michael Vickerman, executive director of RENEW Wisconsin, a statewide membership organization that advocates for renewable energy.

If We Energies’ experience with its previous wind project is any guide, this project will account for more than 400,000 labor hours during construction, according to Vickerman.

The state’s 10% renewable energy standard is the main policy driver behind this project, he said.

Vickerman said: “To be certain that Glacier Hills will not be the last large wind project constructed in Wisconsin, the Legislature must raise the current renewable-energy standard on utilities. The provisions in the recently introduced Clean Energy Jobs Act, which we strongly support, would lift that requirement to 25% by 2025.”

“The state can lock in additional jobs and revenue streams to localities by passing the Clean Energy Jobs Act this winter,” Vickerman said.
END
RENEW Wisconsin (www.renewwisconsin.org) is an independent, nonprofit 501(c)(3) organization that acts as a catalyst to advance a sustainable energy future through public policy and private sector initiatives.

Think Tank Flunks Renewable Energy Analysis

IMMEDIATE RELEASE
December 22, 2009

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Michael Vickerman
RENEW Wisconsin
608.255.4044
mvickerman@renewwisconsin.org

Madison, WI (December 22, 2009) In response to a recent report from the Wisconsin Public Research Institute (WPRI) concluding that policies to increase renewable energy production would be prohibitively expensive, RENEW Wisconsin, a leading sustainable energy advocacy organization, today issued a critique documenting the faulty assumptions and methodological errors that undermine the credibility of that finding.

WPRI’s report, titled “The Economics of Climate Change Proposals in Wisconsin,” reviewed the proposal in the Governor’s Global Warming Task Force to increase the state’s renewable energy requirements on electric utilities to 25% by 2025, and estimated a total cost in excess $16 billion. RENEW’s analysis, which is online, uncovered a disturbing pattern of “methodological sleight-of-hand, assumptions from outer space, and selective ignoring of facts” that render WPRI’s cost estimate to be completely unreliable.

“It appears that WPRI’s $16 billion number was pulled out of thin air, and that its analysis is nothing more than a tortured effort at reverse-engineering the numbers to fit the preordained conclusion,” said Michael Vickerman, RENEW Wisconsin executive director.

Specifically, RENEW identified four significant errors in WPRI’s analytical approach. The critique says:

+ It relies on a grossly inflated electricity sales forecast that is completely detached from current realities.
+ The final cost estimate includes all the generation built to comply with the current renewable energy standard, a clear-cut case of double-counting.
+ The authors fail to account for existing renewable generation capacity that is not currently being applied to a state renewable energy standard.
+ There is a high likelihood that the savings from the renewable energy standard are undervalued, because the authors fail to model plant retirements in their analysis.

“In the final analysis, it would be too generous to describe the analytical approach taken here as incompetent or slipshod,” Vickerman said. “What we have here instead is disinformation, pure and simple, and it should be called out as such, especially as the Legislature begins consideration of arguably the most important economic development and environmental protection initiative in many years.”
END
RENEW Wisconsin (www.renewwisconsin.org) is an independent, nonprofit 501(c)(3) organization that acts as a catalyst to advance a sustainable energy future through public policy and private sector initiatives.

Think Tank Flunks Renewable Energy Analysis

An Examination of Wisconsin Policy Research Institute’s Bogus Methodology

Michael Vickerman
RENEW Wisconsin
December 22, 2009

A report put out in November by the Wisconsin Public Research Institute contains a number of specious assertions intended to advance the proposition that a number of proposals endorsed by the Governor’s Global Warming Task Force in 2008 would be exorbitantly expensive. One particularly dubious finding in the report1, titled “The Economics of Climate Change Proposals in Wisconsin,” is its estimate of the net cost of the 25% Renewable Energy Standard (RES) proposed in the climate change bill. The “trained economists”—WPRI’s term, not mine–who worked on the report contend that the capital and operating costs of the capacity needed to meet the proposed RES would exceed $16 billion by 2025. Mindful that this estimate could become a “headline” number in the coming months, I thought it might be useful to dive into WPRI’s economic analysis and verify the methodology and assumptions that were used to reach this conclusion.

Having done this, I would like to take this opportunity to catalog the faulty forecasts, transparent double-counting and other methodological errors that enabled WPRI to arrive at this absurdly inflated cost estimate. What I’ve documented below leads me to conclude that WPRI’s $16 billion number was pulled out of thin air, and that its analysis is nothing more than a tortured effort at reverse-engineering the numbers to fit the preordained conclusion.

1. The electric sales forecast is grossly inflated. The report authors assume that annual electricity sales in Wisconsin will climb from its current level (70 billion kilowatt-hours (kWh) in 2008) to 92 billion kilowatt-hours in 2025. Right now, electric load is shrinking, not growing, and 2009 sales will come in somewhere at about four billion kWh below the all-time high set in 2007. So, if we’re headed into 2010 with an electric load somewhere between 67 – 68 billion kWh/year, clearly a miracle must occur in order to lift that that number by 26% to reach the 92 billion level in 2025, especially if this climate change bill passes, which it must in order to set the new RES at 25% by 2025. My view is that the state’s electric sales will remain flat for the foreseeable future, due to a combination of continued improvements in energy efficiency coupled with subpar economic performance. So if electricity sales remain stable over the next 15 years, then the total supply of renewable energy needed to satisfy the 2025 target would be 17.5 billion kWh/year. This is considerably less than the 28.3 billion kWh of renewable generation which the report writers claim will be occasioned by the RES (See Table 4 in the report).2

The table below presents the cumulative impact of current and proposed renewable energy policy requirements using more realistic sales forecasts and
capacity requirement estimates. When the sales forecast is adjusted to mirror today’s load numbers, the capacity cost falls to $13.5 billion, using the rest of the WPRI methodology, which is clearly flawed, as we shall see.

Cumulative impact of Proposed RE standard in climate change bill

Category 2004 Baseline 2013/2015 2025
RE Percentage 3.3% 10% 25%
Total kWh Sales 68 billion/year 70 billion/year 70 billion/year
Total RE kWh supply (gross) 2.5 billion kWh/year 7 billion kWh/year 17.5 billion kWh/year
New RE kWh supply (net of 2004) — 4.5 billion/year 15 billion/year
New RE capacity (net of 2004) — 1,650 MW* 5,400 MW*

* Assumes 90% wind/10% biomass mix; combined capacity factor 32%

2. WPRI’s cost estimate inexplicably incorporates the cost of the current Renewable Energy Standard into the total price tag. The WPRI report purports to characterize the incremental cost of increasing the RES above current levels. However, the cost estimates used by WPRI lump in the renewable capacity that will be added to comply with the existing requirements under Act 141. It would appear that WPRI decided to include these costs because the bill would move the compliance date of Act 141’s requirement forward to 2013. This is sophistry of the highest order. The 10% renewable content target that Wisconsin utilities must attain is embedded in current law. To avoid the double-counting we see here, the authors of this report should have treated all Act 141-compliant projects as sunk costs, not as new costs. As evidenced by the table below, treating all Act 141 renewable energy acquisitions as sunk costs reduces the incremental addition of renewable generating capacity down to 3,750 MW, compared with the 6,480 MW figure that WPRI cites.

Incremental Impact of Proposed RE standard (net of Act 141)

Net RE increase 15%
New RE supply 10.5 billion kWh /year
New RE capacity 3,750 MW

When the double-counting of Act 141 generation is eliminated, the capacity costs associated with a successor RES decline to a range between $9 and $9.5 billion, compared with the $16 billion figure cited by WPRI. Implicit in that cost range is the assumption that the every kilowatt-hour that is applied toward a successor RES will be generated from a facility that hasn’t been built yet. As we shall see in the next section, that is a faulty assumption.

3. WPRI’s analysis ignores currently available renewable generating capacity that can be used to meet an RES. WPRI’s analysis assumes that all of the renewable capacity needed to meet the 2025 target will be built some time in the future. That assumption fails to account for all the existing wind capacity in the Upper Midwest that is not generating RES-compliant electricity, whether for Wisconsin or another state. Wisconsin one has one such facility–Butler Ridge in Dodge County–that has uncommitted capacity. Though it has a capacity rating of 54 MW, only 20 MW is dedicated under a long-term contract to a Wisconsin electric provider (WPPI Energy). The remaining portion of the project produces energy that is sold into the wholesale market and renewable energy credits (RECs) that the facility owner will sell to anyone wishing to acquire them. There is nothing to stop a Wisconsin utility from acquiring the REC’s from Butler Ridge’s 34 MW of uncommitted capacity and applying them to its Act 141 requirements and any successor RES.

An REC corresponds to a megawatt-hour (MWH) of electric generation, or 1,000 kWh. How is an REC worth? Over the last two years, REC’s have averaged between $5 and $10 per MWH, or from half a penny to a penny per kWh. Assuming a 30% capacity factor for Butler Ridge, the cost to a Wisconsin utility of acquiring that facility’s annual output of REC’s would range from $45,000 (at a half a penny per kWh) to $90,000 (at one penny per kWh).

As the table below indicates, Iowa is far and way the regional leader in wind generating capacity. Yet Iowa’s renewable energy standard is very modest compared with other state RES percentages, including that of Wisconsin. A significant portion of that capacity falls into one of two categories: (1) owned by an Iowa utility but not committed to that state’s RES or (2) owned by an independent power producer (e.g., NextEra Energy, Horizon Wind Energy, berdrola USA, etc.) that does not have a long-term contract with an electric provider). Furthermore, most of the wind turbines in those categories were placed in service after January 1, 2004, and as such are eligible for complying with Wisconsin’s RES. My conservative estimate of existing Iowa wind capacity that could be applied to Wisconsin’s RES, over and above those turbines that are either owned by Wisconsin utilities or producing power for Wisconsin utilities, is 750 MW. This quantity of “spare” wind capacity could significantly reduce the quantity of generation needed to be constructed to meet a 25% standard need to manufacture and install produce As with the example of Butler Ridge, any Wisconsin utility can elect to acquire the REC’s from these Iowa installations and apply them to current and future RES requirements.

It should be mentioned that more than 100 MW of existing Iowa wind capacity (e.g., Barton, Endeavor 2, Top of Iowa 2) supply Wisconsin utilities with REC’s that are dedicated to their voluntary renewable energy programs, an example being Madison Gas & Electric’s Green Power Tomorrow. Because these REC’s are being resold to a subset of utility customers at a premium, they cannot be applied to their RES requirements. However, there may come a day when these utilities decide that it would be more cost-effective to apply those REC’s to any additional RES requirement rather than build new capacity specifically for RES compliance purposes.

If we were to subtract 750 MW from our running total, the net increase would come to 3,000 MW, which would cost somewhere in the neighborhood of $7.5 billion, less than half of WPRI’s estimate.

Snapshot – Midwest Windpower Development Activity
December 2009

State Operating capacity
(in MW) Under construction (in MW)
Iowa 3253+ 199
Minnesota 1805 60
Illinois 1123 979
Indiana 730† 404
Wisconsin 449 —
Michigan 129 16

+ Total includes Alliant Energy’s 200 MW Whispering Willow project
† Total includes Horizon Wind’s 200 MW Meadow Lake project

Sources: American Wind Energy Association, Alliant Energy

4. WPRI uses the wrong metric to calculate savings from the proposed successor RES. In Table 3 of the WPRI report, the authors present the gross capacity costs of the new renewable generation and subtract the cost of avoided conventional generation to arrive at a net cost. In this case, the authors assumed that the new renewable generation would offset the construction of natural gas-fired peaking units. This formulation is reasonable in places where loads are growing and the need to build new generating capacity is well-established. However, those circumstances are no longer operative in Wisconsin, which, as noted above, has experienced a decline in retail sales, due principally to significant consumption cutbacks in the industrial sector. According to the Energy Information Agency’s latest Electric Power Monthly report, in-state generation output is running more than 2 billion kWh below last year’s totals (through August 2009). Moreover, in consideration of additional efforts by high demand customers to curb electricity usage3, a near-term rebound in overall electricity consumption is simply not in the cards. With a capacity reserve margin that is likely to approach 25% in 2010, the likelihood of a Wisconsin utility proposing to build a gas-fired peaker in the next 10 years is nil.

In light of the growing capacity overhang in Wisconsin, I believe that a more appropriate candidate for measuring savings from the proposed RES would be plant retirements. There are a number of older fossil steam generating units that require the installation of scrubbers and other pollution control technology to bring them into compliance with federal Clean Air Act regulations. There are likely to be instances where a retrofit would not be cost-effective. In those situations, the utility can either sell the generating unit to another entity, as We Energies is attempting to do with its share of Edgewater 5, or retire it.4 The savings that would accrue with retiring less efficient fossil steam units would come in two forms: an avoided capital expenditure and a reduction in operating expenses. A utility that times its renewable energy acquisitions to correspond with planned fossil plant shutdowns would accomplish two objectives. The first would be to maximize the reliability value of the renewable generation it acquires. The second would be to stabilize the asset value of its generation portfolio even as it removes an older unit off its system. Moreover, such a strategy would result in a more efficient accumulation of CO2 offsets, which, one need hardly add, is the ultimate goal of this legislation.

Other Problems

The report makes a number of other assertions that fly in the face of reality. One is that all of the new renewable generating capacity will be located in Wisconsin. No support is provided for that patently ludicrous claim. The authors are clearly oblivious of the many out-of-state wind projects that are either owned by Wisconsin utilities or are generating electricity under contract to Wisconsin utilities. As is indicated in the table below, Wisconsin utilities have not been reticent about building–or taking power from—wind energy installations located in other states.

The RES cost analysis also assumes that Wisconsin utilities will be the sole owners and operators of all post-2013 renewable generating facilities. How the report authors came to that conclusion is utterly mystifying, given the existence of such nonutility-owned installations as Butler Ridge, Forward Energy Center and Montfort in Wisconsin, not to mention the projects owned by NextEra Energy and Iberdrola Renewables listed above.

Out-of-State Windpower Projects Owned by or Under Contract to Wisconsin Utilities
(In-service dates 2004 and later)

County (State) Project Owner MW Utility Offtaker Name
(In-service date)
Worth (IA) Iberdrola Renewables 80 WPPI (50 MW)
MGE (30 MW) Top of Iowa 2 (2007)
Worth (IA) MGE 30 MGE Top of Iowa 3 (2008)
Osceola (IA) NextEra Energy 50 MGE Endeavor 2 (2008)
Hancock (IA) NextEra Energy 150 Alliant-WPL (100 MW) Crystal Lake (2008)
Worth (IA) Iberdrola Renewables 30 WPPI
Barton 1 (2009)
Howard (IA) WPS 99 WPS Crane Creek (2009 est.)
Freeborn (MN) Alliant-WP&L 200 Alliant-WP&L Bent Tree (2010 est.)

Summary

The report’s attempt to characterize the incremental cost impacts of a successor 25% renewable energy standard is fatally flawed in the following ways:

 It relies on a grossly inflated electricity sales forecast that is completely detached from current realities.
 The final cost estimate includes all the generation built to comply with the current renewable energy standard, a clear-cut case of double-counting.
 The authors fail to account for existing renewable generation capacity that is not currently being applied to a state renewable energy standard.
 There is a high likelihood that the savings from the renewable energy standard are undervalued, because the authors fail to model plant retirements in their analysis.

In the final analysis, the convergence of methodological sleight of hand, unsupportable assumptions, and computational errors in this section is telling. The attempt to double-count existing renewable generation toward the incremental costs of a successor RES is especially egregious, and plainly gives away the authors’ real intent here, which is to portray the policy in the most negative light they could conjure. It would be too generous to describe the analytical approach taken here as incompetent or slipshod. What we have here instead is disinformation, pure and simple, and it should be called out as such, especially as the Legislature begins consideration of arguably the most important economic development and environmental protection initiative in many years.

Notes:

1 http://www.wpri.org/Reports/Volume22/Vol22No7/Vol22No7.html

2 There seems to be computational error in Table 4 of the WPRI report. If the estimate of total electricity sales in 2025 is 94.116 billion kWh, then 25% of that number is 23.529 billion kWh, not 28.235 billion kWh as indicated in the table.

3 http://www.jsonline.com/blogs/business/78527027.html, “Nine state factories pledge to cut energy use,” Dec. 4, 2009.

4 http://www.jsonline.com/blogs/business/78724417.html, “We Energies may sell stake in Sheboygan coal plant,” Dec. 8, 2009.