ferc operating manual

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ferc operating manual
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ferc operating manual

Images will stretch horizontally and tend to have some distortion as they go through the broadcast and reception process. In order to keep text and images visible on viewers' TV screens and monitors, you need to follow these requirements: This approved template has the following already added:Intervenors becomes participants in a proceeding and have the right to request rehearing of Commission orders and seek relief of final agency actions in the U.S. Circuit Courts of Appeal.Any subsequent submissions by an intervenor must be served on the applicant and all other parties to the proceeding. Contact information for parties can be downloaded from the service list at the eService link on FERC Online. Service can be via email with a link to the document. Intervention is not applicable in two instances: Comments may be filed during the Pre-Filing phase. Commenters in these dockets are considered parties with the same rights as intervenors in application-related dockets. There are no service requirements for comments filed in RM, AD, or PL dockets. Interested parties are not entitled to hold back awaiting the outcome of the proceeding, or to intervene when events take a turn not to their liking. The Commission's regulations dealing with motions for late intervention state that, in acting on such a motion, the decisional authority may consider: The Commission is therefore more liberal in granting late intervention at the early stages of a proceeding. A petitioner for late intervention, however, bears a higher burden to show good cause for late intervention after the issuance of a final order in a proceeding and generally it is Commission policy to deny late intervention at the rehearing stage, even when the movant claims that the decision established a broad policy of general application. There are document attachment and document-less options for both timely and out-of-time motions to intervene.


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All contacts that are to be added to the Service List for the applicable docket must have a validated eRegistration account and their email addresses must be added online in order for their contact information to appear on the service list. The contact's email address will be included as part of the service list information to facilitate electronic service by parties and the Commission. Persons unable to file electronically should send an original and three copies of the motion to intervene by overnight services to: Service lists are restricted to intervenors. So, you MUST file a request to intervene in order to subscribe to a service list. The only way to be added to a service list is to intervene. Intervenors on the Service List will receive the applicant's filings, Commission documents related to the case, and materials filed by other interested parties. However, as an intervenor, you are also obligated to give copies of what you file to all the other parties on the Service List. Service Lists are available electronically through FERC Online's eService. Pursuant to Part 390 of the Commission regulations, persons unable to eSubscribe or desiring to be added to the mail list must file a letter, electronic or in hard copy, with the Secretary of the Commission making their request. Requests must identify the case by name and docket number; for example, P-2000-000 or CP02-396-000 as well as the name, organization, and address of the requesting party. If you have difficulty reading the characters, click on the speaker icon next to the picture to hear the code (be sure the volume on your PC is high enough). After keying in the characters, click on Submit. Use the Search option if you are unsure about the format. You may add additional docket or project numbers provided your comments pertain to them. There is a counter below the box to tell you how much space you have left for comments.


If you entered a name at the beginning of the process for an Association or organization, you must include the name of an individual responsible for the filing and contact information in the text box. Your comments will be added to the record in eLibrary in the docket or project number(s) you selected at the beginning of the process. You must check the requirements for the form you need to file to determine if that form requires a Company Identifier. To receive a Company Identifier, companies must apply through a FERC Online application known as Company Registration. This application will permit a company to request a Company Identifier, modify information associated with an existing Company Identifier, transition Company Identifiers issued before August 12, 2013. Prior to requesting a Company Identifier or a Delegate Identifier, the user should read, understand and acquire the information that must be provided to complete the Company Registration process. The information requirements are explained in the Instructions for Company Registration. With the assembled information, the user should go to the Commission's FERC Online page and select Company Registration. The Instructions for Company Registration provides step-by-step instructions on how to register a company. It is used to install the application on your workstation. Once the software is installed at your site, the installation file is no longer needed and can be deleted. This check happens every time you start the software. If updates are available, they will be downloaded to your workstation and installed automatically. This keeps everyone's copy of the software in synchronization and repairs problems you may find and report to the FERC. Then, click to the Form 2 link button on the left menu to open the Form 2 page. Click “ Form2SubmissionInstall.exe ” link button to start downloading the file. After download, locate the file with Windows Explorer, place your cursor on the file name, and double-click.


This will start the installation process. If you install the F2SS on multiple workstations, you can copy the installation file to your network and invoke it from there. If you don’t have one, please get help from your IT Admin. If the folder does not exist, it will create it for you. Please do not change the folder name or location since it is easier for us to help you if you have a default installation.Notice that the Version Number of the software is in the upper left-hand corner of the screen. This number changes every time updates and changes are downloaded to your workstation. This version should be used instead of attempting to download a new database. If you have an existing database, you can skip down to the heading: Using a Database from a Previous Year. You should see the full list of all companies under “List of Available Companies” text box. First of all, storing the database on your network permits multiple users of the Software to work at the same time. (If you desire having multiple users inputting data, the database must be on a shared network drive accessible by all users). Secondly, you will be protected from losing your work should your workstation have a malfunction. Most network data is backed up every evening. Please consider the possibility of this happening, and take appropriate action to protect your data. The software will obtain a list of companies available for download from the FERC Forms Server. Since the Form 2 data and reports are public available, please enter any 4 digits number for the PIN into the PIN prompted box (with exception of 0000).Continue in this manner until all companies you file for are downloaded.You can click on the button to the right with the three dots and you can navigate to the database location. Unless you are sure of what to place in these boxes, just leave them blank.

If the software cannot communicate with the FERC Forms Server for updates, you might contact your network support personnel to determine what values belong in these boxes, if any. You will see a pull-down menu listing companies or company (if you just file for one). A similar pull-down menu for the particular year you wish to work with is to the right of the company name. Although it clutters the screen, you can have more than one schedule page open at one time. In this example, there are many companies that have been downloaded in the initial setup. Multiple users can all work on the same company - or on different companies, at the same time.An example would be, you have installed the database on your C: drive and wanted to move the database to a network drive. First, you would create the network folder using Windows Explorer. Then, you would select all the contents of the C:\Form2data folder (go to the folder, use CTRL-A to select all). Copy the entire contents to the new network folder. Once that is done, you can erase the C:\Form2data folder on your workstation. You should ask your network support personnel if any of these options apply to your network. There are more than 260 of them. You should ask your network support personnel to assist you in setting up a security scheme so that only members of your work group can access these files. Otherwise, someone might think it is fun to delete some of the files and see what happens. This can cause you a lot of wasted time and extra work. If something happens to the database, you will lose all your work that was done since the last backup. If it has never been backed up, then, you start all over. Not a pleasant thought. So, to put it another way, please do not delete or lose the database. Either of these problems can usually be traced to your Network Firewall which protects your network from outside interference. The software will work OK at most companies.

However, if you have a problem with these two issues, your only recourse is to plead with your IT folks to loosen things up a little or make some accommodation. If you can't receive automatic updates, you will probably have to download and install the software each time there is an update. The software has version numbers that change as we apply corrections or improvements. Also, be sure to put the word Form2 in the Subject of the email. If you forget to attach the F2 log file, we will send you a reply mail asking for it. So, it just saves time to send it along in the first place. Of course, your IT people are welcome to review the log file and help diagnose any problems you might have. The form contains data for a calendar year. Among other things, the form contains a Comparative Balance Sheet, Statement of Income, Statement of Retained Earnings, Statement of Cash Flows, and Notes to Financial Statements. Major is defined as having combined gas transported or stored for a fee that exceeds 50 million dekatherms. Non-major is defined as having total gas sales or volume transactions exceeding 200,000 dekatherms. For each month of the quarter the respondent reported quantities shipped or stored and revenues received under each rate schedule. RM07-9), with similar data incorporated into Forms 2 and 3Q. This information collection is considered to be a non-confidential public use. A report detailing various activities undertaken under blanket certificate authority. A complete list of the types of activities which must be reported are listed at the referenced regulation. These reports are assigned a CP docket number. The report must also show the respective assignments of that capacity to the various firm services provided by the pipeline. Submit FERC Form No. 549D electronically via eFiling. Paper and email filings are not accepted. Market participants must fill out the form annually if: (1) their reportable natural gas sales were greater than 2.

2 million MMBtu in the reporting year; or (2) their reportable natural gas purchases were greater than 2.2 million MMBtu in the reporting year. Submit FERC Form No. 552 electronically via eFiling. Paper and email filings are not accepted. A natural gas pipeline company making a report of a service interruption pursuant to section 260.9 of the Commission's regulations may fax its report to 202-208-2853. New entities that expect to be in the Major category should begin filing based on projected data. New entities that expect to be in the Nonmajor category should begin filing based on projected data. Note: Order No. 709 (issued March 11, 2008) eliminated this filing requirement. As of January 1, 2008 EIA began collecting this data on its form EIA-923. On March 28, 2008 FERC announced that it has terminated collection of the Form 423 ending with the December 2007 report, which was due February 15, 2008. FERC no longer maintains this data. Historical data can be found at EIA. Electronic filing of this form is mandatory. See eFiling instructions at: efile The reports on last year's information are filed on April 30th. NOTE: IN 2015 ONLY, two versions of the FERC Form 561 will be accepted by FERC.This annual report includes projections, information that details the level and status of transmission investment, and the reason for delay, if any. Public utilities that have been granted incentive based rate treatment for specific transmission projects under provisions of 18 CFR 35.35 must file FERC-730. The report must conform to the format prescribed in Order No. 679, Appendix A. Filers are strongly encouraged to submit the FERC-730 electronically via eFiling. The form contains data for a calendar year. Paper and email filings are not accepted. A natural gas pipeline company making a report of a service interruption pursuant to section 260.9 of the Commission's regulations may fax its report to 202-208-2853.

There are two versions of the form to account for the two different ways land is surveyed in the United States, the Public Land States and the Non-Public Land States. Completed forms must be included in applications for preliminary permits with a copy sent to the Bureau of Land Management (BLM) state office where the project is located. Copies are also sent to BLM after license issuance. Order 646 requires all jurisdictional oil pipeline companies to use the Commission's software to electronically file Form 6-Q commencing with reporting year 2004.This service life data, which may be initial data or an update to previously existing data, is collected on FERC Form No. 73. The information collected on FERC Form No. 73 is used as an input to assist the Commission in the selection of appropriate oil pipeline company service lives and book depreciation rates. The report is designed to collect financial information from centralized service companies subject to the jurisdiction of the Federal Energy Regulatory Commission. The report is considered to be a non-confidential public use form. Instead, service companies will be required to file on an annual basis a narrative description of the service company's functions during the prior calendar year. In complying with this section, a holding company may make a single filing on behalf of all of its service company subsidiaries. The report is considered to be a non-confidential public use filing. FERC accepted PJM’s proposal over the objections of certain PJM transmission owners, and concluded that the proposal would assist PJM in selecting the most efficient and cost-effective transmission solutions in its RTEP while providing greater transparency into PJM’s evaluation process.

The previously effective provisions of Schedule 6 required transmission project developers submitting a proposed project to include sufficient detail for PJM to analyze the proposed cost, as well as to demonstrate other advantages including any binding cost commitments the developer voluntarily submitted. After the proposal window closes, PJM reviews the submissions to determine which are the most efficient or cost-effective, and presents those meriting further consideration in the RTEP to the Transmission Expansion Advisory Committee. PJM also clarified that it would evaluate competing proposals by assessing the quality and effectiveness of a binding cost commitment or non-binding cost estimate against the resulting, comparative risk to be borne by ratepayers. In so doing, FERC pointed to PJM’s commitment to include implementation details for its comparative analysis in its business practice manuals. FERC also rejected arguments that PJM’s proposal would indirectly dictate what transmission owners could or could not include in future Federal Power Act Section 205 filings to recover the costs of their projects, concluding that developers ultimately determined the bidding characteristics of their proposals, including any voluntary binding cost commitment. FERC similarly rejected arguments that the proposal would effectively permit PJM to take on FERC’s role in determining just and reasonable rates. FERC distinguished PJM’s role in reviewing and selecting the most efficient or cost-effective transmission proposals with FERC’s role in reviewing the justness and reasonableness of the resulting rates. Finally, FERC rejected arguments that PJM’s process in adopting the proposal was procedurally deficient. With more than 1,100 attorneys in 23 U.S. cities, the firm partners with clients across every industry sector to help them achieve their business goals. Read more about the firm’s litigation, transactional, and regulatory practices at troutman.com. Powered By LexBlog.

FERC regulates oil transportation rates but does not regulate the oversight of oil pipeline construction, abandonment of service, or safety. The Hepburn Act of 1906 classified interstate oil pipelines as common carriers. The Interstate Commerce Commission (ICC) was responsible for regulating such pipelines; however, in 1977, the Department of Energy (DOE) Organization Act of 1977 transferred the regulation of oil pipelines from the ICC to DOE and subsequently to FERC. The Energy Policy Act of 1992 mandated that FERC provide a “simplified and generally applicable” ratemaking methodology for oil pipelines and authorized the agency to streamline oil pipeline proceedings. The safety of interstate oil pipelines remains with the Department of Transportation. View chapter Purchase book Read full chapter URL: The U.S. Electric Markets, Structure, and Regulations Chris Blazek, in Electricity Cost Modeling Calculations, 2011 FERC Order 2000 and grid regionalization FERC Order 2000, issued in December 1999, asked all transmission-owning utilities, including nonpublic utilities, to voluntarily place their transmission facilities under the control of a regional transmission organization and defined the characteristics and minimum functions required by the RTO. Order 2000 was designed to take the transmission system from one that was owned and controlled mostly by vertically integrated electric utilities to a system owned or controlled by unaffiliated RTOs. The FERC believed that a voluntary approach would be successful, as many vertically integrated utilities would recognize the benefits, and clear rules and guidance were established for the function of the RTO. Furthermore, the FERC established a collaborative process for RTO formation and provided rate-making incentives for utilities that assume the risks of a transition to a new corporate structure. View chapter Purchase book Read full chapter URL: U.S. Electric Markets, Structure, and Regulations Monica Greer Ph.

D, in Electricity Marginal Cost Pricing, 2012 Federal Energy Regulatory Commission The FERC was established within the DOE and is an independent agency that regulates the interstate transmission of electricity, natural gas, and oil. The Federal Power Commission (FPC), founded in 1920, was the predecessor to the FERC, created to coordinate federal hydropower development. In 1935, the FPC was transformed into an independent agency to regulate both hydropower and interstate electricity. All FERC decisions are reviewable by the federal courts. In 1983, Congress ended federal regulation of wellhead natural gas prices and, in response, FERC sought greater competition to both natural gas and electric industries.

To be clear, this effort to facilitate communication between tribes and project sponsors would not replace the Commission’s consultation process, which is usually conducted after the issuance of a Notice of Intent to Issue an Environmental Assessment or Environmental Impact Statement. Rather, this outreach from the Tribal Coordinator, when requested by a project sponsor, would provide information on how tribal involvement can best be facilitated during the early stages of a project, including during pre-filing or before the filing of any formal application at the Commission, when project sponsors are developing pipeline routes, siting facilities, conducting necessary environmental surveys, and preparing applicable resource reports. By initiating a dialogue early in the planning process, the Tribal Coordinator could work as an intermediary to ensure that interested Native American tribes and project sponsors would have the ability and time needed to work together cooperatively to ensure that tribal interests and important cultural resources are identified and appropriately addressed during the planning or construction of a project. The Tribal Coordinator also should facilitate communications between a project sponsor and tribe, as may be needed. INGAA additionally requests that Section 4.0 be updated to state that the project sponsor should notify the Tribal Coordinator and the Project Manager if a tribe expresses a preference to communicate with FERC. The FERC Tribal Coordinators will need to develop a strong understanding of tribal values, which would serve as the foundation for establishing credibility as a trustworthy and impartial source of information for the tribes in that region, as well as someone who understands those tribes’ interests and cultural resources.

A relationship based on trust and mutual respect will not develop between the regional Tribal Coordinator and the Native American tribes in that region unless FERC Tribal Coordinators are able to meet periodically with the tribes on tribal lands, foster relationships with tribal leaders, attend ceremonial gatherings, learn about the history of the tribes, and develop a deeper level of understanding of tribal values and culture. Meeting with the tribes and learning about tribal values will help foster trust and confidence between Native American tribes and the Commission. In turn, by improving relationships with the tribes, the regional Tribal Coordinators will be better able to facilitate communications between project sponsors and tribes, communicate tribal concerns, encourage compromises, and facilitate agreements. This budget should be designated to fulfillment of the Tribal Coordinators’ duties, including developing relationships, addressing concerns of Native American tribes and facilitating tribes’ effective and timely participation in the pre-filing and formal certificate process. Establishing a designated budget for the Tribal Coordinators would increase their effectiveness and would improve communications with federally-recognized tribes so that important cultural resources may be protected. Much of this confusion has been eliminated in the Draft Guidelines; INGAA identified two instances where the Guidelines still use the term “consultation” when it should state “communication.” Specifically, Section 5.0 (“Plan for Unanticipated Cultural Resources and Human Remains”) and Section 5.1 (“Cultural Resources That May Qualify as Historic Properties”) still contain references to “consultation” when discussing the project sponsor’s obligations to coordinate with other parties.

INGAA requests clarification that in these sections, the term “consultation” is used to convey a need for the project sponsor to coordinate, cooperate or confer with other parties and it is not meant to refer to the FERC’s statutory mandate to consult with Native American tribes under the NHPA. Such a clarification will eliminate any potential for confusion and ensure consistency with other portions of the document, such as Section 4.2 (“Communication with Tribes”), which explicitly states that the Commission does not delegate its government-government tribal consultation responsibilities. In the alternative, INGAA recommends that the Draft Guidelines be revised so that the references to “consultation” in Sections 5.0 and 5.1 be changed to “coordination.” Project sponsors should consider having their survey designs reviewed by the appropriate SHPOs and other potential consulting parties, prior to conducting any field work., and provided the parties with the opportunity to review and comment on project-specific research designs and survey strategies. However, not every approval necessary to conduct this work is a “permit.” For example, an access agreement (not a formal permit) may be required prior to conducting field work. Accordingly, INGAA requests that FERC replace the term “permits” with “any necessary approvals”. INGAA also requests that the Commission provide a budget to fund regional Tribal Coordinators.Moreover, pg. 7-3 of the Guidelines has multiple references to “Criteria-satisfying property,” which is not defined in the Guidelines and appears to differ from the requirements prescribed in Appendix II. Accordingly, INGAA recommends that the Guidance Manual reference the instant Guidelines instead of separately describing any requirements. Subscribe today to get the full report! To be able to search 60 years of full Foster Report archives, subscribe today! Thank you for subscribing. You are already subscribed. Error when subscribing!

Our staff possesses expertise in all aspects of the power and natural gas markets at both the wholesale and retail levels, as well as the oil pipeline industry. Furnished records are provided to the USGS by Federal Energy Regulatory Commission (FERC) licensees and other cooperating agencies as a method for reviewing and quality assuring their records so that the data are collected using methods that result in data that have an accuracy comparable to the data collected by the USGS. Documents and links to technical manuals and memoranda that define data collection, data processing, and quality assurance standards for stage and streamflow collected in USGS Water Programs are provided. Links to the approved data that FERC licensees and other cooperators have furnished to USGS are also included. Click on a pin on the map to see more information. Download a copy of the full report here: PRKN 2018 Annual Report (7MB).So many people chipped in to help us meet our goals in 2018, that we could not fit all the names in the print version of the report. We very much want to thank everyone, so we are taking this opportunity to thank our full list of donors here. You are all amazing and we could not do any of this without you! Read More File your comments to protect the Clean Water Act today. Search JACOB to locate additional titles on electricity law topics. Many treatises are available online. Search JACOB, to locate print and online versions of an electricity law treatise. Reliability Primer (2016). The Future of Transportation Electrification: Utility, Industry and Consumer Perspectives (2018) Electricity Markets and Policy Group. Future Electric Utility Regulation Series. Next-Generation Performance Based Regulation: Emphasizing Utility Performance to Unleash Power Sector Innovation (2017). Project Finance Primer for Renewable Energy and Clean Tech Projects (2010). Practical Guide to the Regulatory Treatment of Mini-Grids (2017).