• Ambagh Road, Konabari, Nilnagar Gazipur. Call Us @ +8809666791791

Trump Admins Ratepayer Pledge: What It Means for Hyperscalers

ratepayer risk

As shown in Exhibit 1, over the past few years large load tariffs have begun to more frequently set higher threshold sizes, although the “right” size will likely vary by system. Many large load tariffs that set eligibility by size also include aggregation clauses to prevent customers from splitting a large facility into smaller loads on nearby sites to avoid falling under the tariff. Other criteria that are sometimes used to establish large load tariff eligibility include load factor, power factor, or industry.

Introduction: The Collision of Artificial Intelligence and Grid Infrastructure

In contrast, the electric and water utilities point to risks they contend the OIR did not consider, and disagree with the OIR’s conclusions about the risks it did mention. SCE observes that the OIR’s risk calculus does not acknowledge anomalies such as the California energy crisis, stating that the crisis “has left doubts in the minds of utility stakeholders as to California regulators’ ongoing commitment to the regulatory compact.” The parties’ comments are divided on the OIR’s assumption that risk should drive the outcome of gain on sale decisions, and that we should cease relying on ratepayer harm or indifference to allocate the gain. Thus, an overestimated load growth through duplicate requests develops and in fact, could trigger a utility to overbuild capacity without subsequent demand all at the expense of ratepayers. Allocating costs and future risks related to catastrophic wildfires is a complex issue with a wide variety of important considerations.

ratepayer risk

How AI is Changing Energy Grids

The public absorbs the costs of poor decision-making and overruns on highly risky ventures, like nuclear power plants. Natural gas plants are also a long-term risky investment, financially and for the climate. A PUC could deny approval of construction or stipulate that shareholders pay all costs, including carbon dioxide abatement and other methods to limit pollution that extend the plant’s life.

ratepayer risk

Rate Reduction Bonds

  • Securitization allows utilities to offer long-term bonds to investors to pay off short-term debt.
  • The most common way to define eligibility of a large load is by its total capacity in megawatts.
  • The utility is responsible to its shareholders and the bank underwriting the securitized bonds, which means “utility and ratepayer interests might not be aligned.”
  • To correct that, state legislation should “support the commissions’ fiduciary duties to consumers and the public interest.”
  • Electric utility bills often reflect a number of other state and local taxes and charges.

Under these programs, customers generally are credited for the electricity that they generate at the IOU’s retail volumetric rate. In effect, the IOU pays customers the same rate per kilowatt hour for generated electricity as it charges for consumed electricity. IOU customers who contracted for solar systems to be installed after April 2023 are under a new system known as NEM 3.0 (also referred to as Net Billing Tariff), which compensates customers at a notably lower rate.

How AI Will Transform the Energy Sector and Economy

Under the terms of the second agreement, STACK will pay the actual cost of work performed by PG&E as the work progresses, instead of a one-time advance payment. Furthermore, STACK is ineligible for the option, provided by PG&E’s tariffs, to receive a fifty percent discount in lieu of refunds. Finally, the agreement requires PG&E to issue refunds to STACK under the tariff’s standard methodology, subject to a cap of around $50 million. Utilities often goldplate grid modernization investments that can impose unnecessary costs on ratepayers, but mandating hosting capacity analyses could avoid this.

Why Do Some IOU Customers Pay More Than Others?

ratepayer risk

With utilities planning to invest billions of dollars of investment in the grid to serve these new large loads, there is a growing risk that these costs could spill onto others in unfair ways. Such temporal variations make balancing the supply and demand for electricity more difficult. In some cases, large amounts of solar generation can lead to an oversupply of electricity during certain times and days. This can result in a need to export electricity to other states or to curtail, or shut off, some of the electricity generated from renewable resources to maintain grid stability. In other cases, high demand for electricity—such as during the evenings of long summer heat waves—can make finding adequate supplies challenging.

Source data

California electricity rates also have been increasing rapidly in recent years—not only growing faster than inflation but also outpacing growth in other states. Indeed, energy usage from data centers alone is anticipated to double within five years, with forecasts suggesting they will account for about 12% of US electricity usage by 2028. The pace of AI innovation is simply speaking, soaring past the capacity of physical infrastructure as chip supply chains and energy demands have put added strain on the US power grid. Securitization is a financial tool that can reduce utility debt with low interest bonds secured by ratepayers, and with utilities’ growing costs related to COVID-19, the energy transition, and climate change, interest is accelerating. Legislators and regulators must dictate the terms of service to utilities, not the other way around.

  • The minimum monthly billing demand can reduce the risk of large loads not contributing their fair share of system costs if they’ve been too bullish about how much power they need, and can encourage large load customers to more conservatively estimate their capacity.
  • Data center infrastructure is the foundation of the internet, cloud computing, and artificial intelligence (AI), and supports our economic and national security.
  • Gov. Mike Braun signed a bill into law that enables public utilities to petition state regulators to recover costs for developing small module nuclear reactors, a policy that consumer advocates say will put the financial risk on Hoosiers.
  • Have served as financial advisor in a role similar to that advocated in the paper to public utility commissions and other ratepayer advocate organizations on billions in ratepayer-backed bonds over the last three decades.
  • Before joining Academy, she was a Senior Trader at Legal & General Investment Management America, where she executed across equities, fixed income, derivatives, and FX for global client portfolios.

Challenges Power Grids Face With AI Growth

The main explanation for why NEM 3.0 provides a lower amount of credit to solar customers compared to the previous NEM programs is that the new structure credits customers only for the costs the utility avoids by not having to buy electricity elsewhere to serve them. Consequently, CPUC’s primary rationale for adopting NEM 3.0 is that under NEM 1.0 and 2.0, customers without rooftop solar were effectively subsidizing those with solar. This is because when solar customers do not pay for fixed costs (as generally was the case with NEM 1.0 and NEM 2.0), the costs do not go away.

That includes “the authority to require evidence in the utility’s filing from a bond team representing ratepayers in negotiations on the deal structure and transaction fees.” Securitization proceedings on utility proposals should and typically do include oversight from commissioners and consumer advocates, Petrosino acknowledged. “But whether the negotiation includes a team representing ratepayers is not relevant to https://bandlybands.com/narkes-elektriska/ the rating agency because pricing is determined by the marketplace and nobody else.” In addition, the standard for securitizations must be “the maximum present value savings for ratepayers,” he added.

Read More

New Hampshire Lawmakers Block Nuclear Reactor Plan Over Ratepayer Risk Fight

ratepayer risk

In PJM, the influx of data center load has fundamentally distorted the supply-demand balance. An exhaustive analysis by the Independent Market Monitor (IMM) for PJM revealed the staggering cost shift that has already occurred. Collateral requirements in large load tariffs help protect other ratepayers by ensuring large loads can cover costs like unpaid bills, exit fees, or penalties if they default or leave their contract early. In essence, these requirements can be designed to reduce the likelihood that stranded costs or solvency issues are passed on to other customers. Large load tariffs currently use a variety of formulas to establish the minimum monthly billing demand. The three most common ways large load tariffs to date are setting this minimum is with a percent of the customer contract capacity (often 75–90 percent), the customer’s historical peak, or a fixed floor.

  • California electricity rates also have been increasing rapidly in recent years—not only growing faster than inflation but also outpacing growth in other states.
  • Shifts risk from utility ratepayers and investors to insurers and property owners.
  • This adds risk for investors (bondholders and shareholders) and, therefore, increases IOU financing costs (bond interest rates and shareholder returns).
  • However, consumer decisions about whether or not to adopt these alternative technologies depend, in part, on electricity rates.
  • The capital markets are often thought as a “black box” of buyers and sellers rapidly exchanging millions of dollars.
  • Pursuant to Chapter 547 of 2015 (SB 350, de León), the California Air Resources Board also established specific 2030 GHG targets for emissions from the electricity sector.

Energy equity: Reforming utilities’ business plans by rebalancing ratepayers’ financial risks

And they do this while imposing egregiously high fixed charges that discourage clean energy efforts. In a system of shared-costs and risks, utilities would not be able to recover costs of their stranded assets from ratepayers. Regulators could require a much lower return for central station power plant investments to shift investment to distributed resources, and order shareholders to shoulder all or most of their stranded costs. In this report, we generally refer to these charges—regardless of how they are structured—as rates.

ratepayer risk

Trump Admin’s Ratepayer Protection Pledge: What It Means for Hyperscalers

An irrevocable financing order means that once a state utility commission authorizes the securitization charges, that order cannot be repealed or altered until the bonds are fully repaid. This provides legal certainty that the cashflows supporting the bonds will remain intact regardless of political or regulatory changes. In practice, it ensures bondholders are insulated from legislative risk over the life of the bonds.

CleanAI: Proving Out the Power of Hybrid Microgrids for AI Data Centers

The regulatory compact requires that if ratepayers bear such costs, they must be compensated for such burdens once the utility sells the property. Only a fraction of proposed data centers actually get built, making it difficult for grid operators and power system regulators to correctly estimate future electricity loads. So-called phantom data centers — projects that are proposed but never materialize — can create speculative interconnection requests.

A “bond trustee” handles implementation and most enabling legislation requires a commission-approved competitive solicitation in which “hundreds of trustees compete” to determine the trustee, he added. The utility is responsible to its shareholders and the bank underwriting the securitized bonds, which means “utility and ratepayer interests might not be aligned.” The first of the two agreements covered the construction of special facilities requested by STACK that exceed PG&E’s design standards. Under this agreement, STACK would pay the actual costs PG&E incurred to construct the special facilities, rather than the estimated costs as specified in PG&E’s tariffs.

“If these issues are shown to require active intervention, the CPUC can take appropriate steps.” In California, use of securitization to recover wildfire-related losses for utilities, some of it already approved, could involve as much as $12.5 billion. Regulators and utilities agree authority on securitization should be in enabling state law to make certain proceedings are done with high standards and are backed by the authority of the state.

Regulators, utilities, lawmakers and ratepayers – oh my!

The December stimulus bill included $25 billion for unpaid rent and utility bills, and the Biden proposal would add $5 billion, but unpaid 2020 bills could require up to $70 billion, according to Moody’s Analytics Chief Economist Mark Zandi. Unpaid utility bills alone could reach $35 billion to $40 billion by March 2021, NEADA Executive Director Mark Wolfe said in November. On October 30, 2025, the CPUC adopted Resolution E-5420, approving two agreements between PG&E and STACK Infrastructure (STACK) to interconnect and energize a 90 MW data center developed by STACK. The bill was one of three with nearly identical language to shift the cost of building SMRs to customers. Senate Bill 423 would establish a smaller pilot project for SMRs and currently is stalled in the House, and House Bill 1007 had the exact language of SEA 424, but that language was removed from the legislation after Braun signed the 424 into law. We believe that the Commission should be the final decision maker, and we will provide all the information and analysis that you will need to reach a fair and equitable resolution of these complex issues.

ratepayer risk

In the absence of that standard, “underwriters and https://www.thisisdornoch.com/listing/lower-whinhill/ investors will have the negotiating leverage to dictate a final cost to ratepayers.” Securitization could address that debt, though state-enabling legislation is inconsistent in availability and in providing robust oversight, RMI’s Varadarajan said. “But even if securitization’s benefits are diluted, it can be of significant value to ratepayers because interest rates are almost always reduced” compared to typical utility interest rates. Shutoff moratoria allowing COVID-19-impacted residential and small business customers to defer utility payments without losing service have been invaluable to millions, according to the National Energy Assistance Directors’ Association (NEADA). But when the pandemic fades, national economic recovery could be impacted by potentially huge debts to utilities, NEADA added.

ratepayer risk

Data centers also need to be operational 99.999% of the time, requiring constant redundancies. Shifts costs and future risks among ratepayers, IOU investors, insurers, and property owners. Net effect on each group depends on details of the fund, such as initial contributions, process for settling claims, and future reimbursements to the fund. Because recent environmental lawsuits blocked solar projects in the California desert, utility companies there will be lucky to get halfway to their state-imposed mandate of 30 percent power generation from renewable sources anytime soon.

Usage in printed sourcesFrom:

  • Indeed, energy usage from data centers alone is anticipated to double within five years, with forecasts suggesting they will account for about 12% of US electricity usage by 2028.
  • Moreover, ratepayers bear the equivalent risk that forecasts will overstate needed utility rates of return in a given year, yet the utilities do not contend we should give ratepayers extra gains based on inherent unreliability in forecasting.
  • In a utility bankruptcy during his tenure, “we discovered the tax treatment could affect ratepayer value over time by around a billion dollars, and understanding that allowed reaching a settlement.”
  • But enabling state legislation is necessary for credit agencies to provide the AAA credit rating for securitized debt that makes interest rates low.
  • For example, Appalachian Power Company and Wheeling Power Company’s Schedules L.C.P. and I.P.

To balance the risk of stranded costs against the promise of additional revenues presented by the data center, the CPUC adopted a modified methodology to distribute STACK’s full refund. The remaining 25 percent of the collected transmission-related revenues will be held back for ongoing maintenance and broader grid upgrades that are not part of the direct energization of STACK’s facilities. Under the CPUC’s approach, STACK is expected to receive the full refund in about six years.

The AI Power Crunch: Why Google’s Flexible-Load Blueprint Could Signal a New Era for Digital Infrastructure

Many publicly owned utilities also offer NEM programs, but the policies are adopted by their individual boards (rather than CPUC) and thus vary. Electric utility bills often reflect a number of other state and local taxes and charges. For example, many local jurisdictions impose utility taxes that are used to support local programs, such as fire response and parks.

The longest minimum contract terms (20 years) still fall short of most grid asset lifespans. When a large load’s contract ends, significant remaining infrastructure costs might then fall to other customers. Regulators, utilities, and policymakers will have http://www.portobellocc.org/pccpn/2015/07/21/edinburgh-fuel-poverty-report-published/ to continue to evaluate whether that risk is balanced against the benefits of rates that attract customers. California Public Utilities Commission (CPUC) Recently Modified Structure of Solar Credits Provided to Investor‑Owned Utility (IOU) Customers. Customers of IOUs who contracted for solar installations before April 2023 participate in programs called NEM 1.0 or 2.0.

Read More

New Hampshire Lawmakers Block Nuclear Reactor Plan Over Ratepayer Risk Fight

ratepayer risk

In PJM, the influx of data center load has fundamentally distorted the supply-demand balance. An exhaustive analysis by the Independent Market Monitor (IMM) for PJM revealed the staggering cost shift that has already occurred. Collateral requirements in large load tariffs help protect other ratepayers by ensuring large loads can cover costs like unpaid bills, exit fees, or penalties if they default or leave their contract early. In essence, these requirements can be designed to reduce the likelihood that stranded costs or solvency issues are passed on to other customers. Large load tariffs currently use a variety of formulas to establish the minimum monthly billing demand. The three most common ways large load tariffs to date are setting this minimum is with a percent of the customer contract capacity (often 75–90 percent), the customer’s historical peak, or a fixed floor.

  • California electricity rates also have been increasing rapidly in recent years—not only growing faster than inflation but also outpacing growth in other states.
  • Shifts risk from utility ratepayers and investors to insurers and property owners.
  • This adds risk for investors (bondholders and shareholders) and, therefore, increases IOU financing costs (bond interest rates and shareholder returns).
  • However, consumer decisions about whether or not to adopt these alternative technologies depend, in part, on electricity rates.
  • The capital markets are often thought as a “black box” of buyers and sellers rapidly exchanging millions of dollars.
  • Pursuant to Chapter 547 of 2015 (SB 350, de León), the California Air Resources Board also established specific 2030 GHG targets for emissions from the electricity sector.

Energy equity: Reforming utilities’ business plans by rebalancing ratepayers’ financial risks

And they do this while imposing egregiously high fixed charges that discourage clean energy efforts. In a system of shared-costs and risks, utilities would not be able to recover costs of their stranded assets from ratepayers. Regulators could require a much lower return for central station power plant investments to shift investment to distributed resources, and order shareholders to shoulder all or most of their stranded costs. In this report, we generally refer to these charges—regardless of how they are structured—as rates.

ratepayer risk

Trump Admin’s Ratepayer Protection Pledge: What It Means for Hyperscalers

An irrevocable financing order means that once a state utility commission authorizes the securitization charges, that order cannot be repealed or altered until the bonds are fully repaid. This provides legal certainty that the cashflows supporting the bonds will remain intact regardless of political or regulatory changes. In practice, it ensures bondholders are insulated from legislative risk over the life of the bonds.

CleanAI: Proving Out the Power of Hybrid Microgrids for AI Data Centers

The regulatory compact requires that if ratepayers bear such costs, they must be compensated for such burdens once the utility sells the property. Only a fraction of proposed data centers actually get built, making it difficult for grid operators and power system regulators to correctly estimate future electricity loads. So-called phantom data centers — projects that are proposed but never materialize — can create speculative interconnection requests.

A “bond trustee” handles implementation and most enabling legislation requires a commission-approved competitive solicitation in which “hundreds of trustees compete” to determine the trustee, he added. The utility is responsible to its shareholders and the bank underwriting the securitized bonds, which means “utility and ratepayer interests might not be aligned.” The first of the two agreements covered the construction of special facilities requested by STACK that exceed PG&E’s design standards. Under this agreement, STACK would pay the actual costs PG&E incurred to construct the special facilities, rather than the estimated costs as specified in PG&E’s tariffs.

“If these issues are shown to require active intervention, the CPUC can take appropriate steps.” In California, use of securitization to recover wildfire-related losses for utilities, some of it already approved, could involve as much as $12.5 billion. Regulators and utilities agree authority on securitization should be in enabling state law to make certain proceedings are done with high standards and are backed by the authority of the state.

Regulators, utilities, lawmakers and ratepayers – oh my!

The December stimulus bill included $25 billion for unpaid rent and utility bills, and the Biden proposal would add $5 billion, but unpaid 2020 bills could require up to $70 billion, according to Moody’s Analytics Chief Economist Mark Zandi. Unpaid utility bills alone could reach $35 billion to $40 billion by March 2021, NEADA Executive Director Mark Wolfe said in November. On October 30, 2025, the CPUC adopted Resolution E-5420, approving two agreements between PG&E and STACK Infrastructure (STACK) to interconnect and energize a 90 MW data center developed by STACK. The bill was one of three with nearly identical language to shift the cost of building SMRs to customers. Senate Bill 423 would establish a smaller pilot project for SMRs and currently is stalled in the House, and House Bill 1007 had the exact language of SEA 424, but that language was removed from the legislation after Braun signed the 424 into law. We believe that the Commission should be the final decision maker, and we will provide all the information and analysis that you will need to reach a fair and equitable resolution of these complex issues.

ratepayer risk

In the absence of that standard, “underwriters and https://www.thisisdornoch.com/listing/lower-whinhill/ investors will have the negotiating leverage to dictate a final cost to ratepayers.” Securitization could address that debt, though state-enabling legislation is inconsistent in availability and in providing robust oversight, RMI’s Varadarajan said. “But even if securitization’s benefits are diluted, it can be of significant value to ratepayers because interest rates are almost always reduced” compared to typical utility interest rates. Shutoff moratoria allowing COVID-19-impacted residential and small business customers to defer utility payments without losing service have been invaluable to millions, according to the National Energy Assistance Directors’ Association (NEADA). But when the pandemic fades, national economic recovery could be impacted by potentially huge debts to utilities, NEADA added.

ratepayer risk

Data centers also need to be operational 99.999% of the time, requiring constant redundancies. Shifts costs and future risks among ratepayers, IOU investors, insurers, and property owners. Net effect on each group depends on details of the fund, such as initial contributions, process for settling claims, and future reimbursements to the fund. Because recent environmental lawsuits blocked solar projects in the California desert, utility companies there will be lucky to get halfway to their state-imposed mandate of 30 percent power generation from renewable sources anytime soon.

Usage in printed sourcesFrom:

  • Indeed, energy usage from data centers alone is anticipated to double within five years, with forecasts suggesting they will account for about 12% of US electricity usage by 2028.
  • Moreover, ratepayers bear the equivalent risk that forecasts will overstate needed utility rates of return in a given year, yet the utilities do not contend we should give ratepayers extra gains based on inherent unreliability in forecasting.
  • In a utility bankruptcy during his tenure, “we discovered the tax treatment could affect ratepayer value over time by around a billion dollars, and understanding that allowed reaching a settlement.”
  • But enabling state legislation is necessary for credit agencies to provide the AAA credit rating for securitized debt that makes interest rates low.
  • For example, Appalachian Power Company and Wheeling Power Company’s Schedules L.C.P. and I.P.

To balance the risk of stranded costs against the promise of additional revenues presented by the data center, the CPUC adopted a modified methodology to distribute STACK’s full refund. The remaining 25 percent of the collected transmission-related revenues will be held back for ongoing maintenance and broader grid upgrades that are not part of the direct energization of STACK’s facilities. Under the CPUC’s approach, STACK is expected to receive the full refund in about six years.

The AI Power Crunch: Why Google’s Flexible-Load Blueprint Could Signal a New Era for Digital Infrastructure

Many publicly owned utilities also offer NEM programs, but the policies are adopted by their individual boards (rather than CPUC) and thus vary. Electric utility bills often reflect a number of other state and local taxes and charges. For example, many local jurisdictions impose utility taxes that are used to support local programs, such as fire response and parks.

The longest minimum contract terms (20 years) still fall short of most grid asset lifespans. When a large load’s contract ends, significant remaining infrastructure costs might then fall to other customers. Regulators, utilities, and policymakers will have http://www.portobellocc.org/pccpn/2015/07/21/edinburgh-fuel-poverty-report-published/ to continue to evaluate whether that risk is balanced against the benefits of rates that attract customers. California Public Utilities Commission (CPUC) Recently Modified Structure of Solar Credits Provided to Investor‑Owned Utility (IOU) Customers. Customers of IOUs who contracted for solar installations before April 2023 participate in programs called NEM 1.0 or 2.0.

Read More

New Hampshire Lawmakers Block Nuclear Reactor Plan Over Ratepayer Risk Fight

ratepayer risk

In PJM, the influx of data center load has fundamentally distorted the supply-demand balance. An exhaustive analysis by the Independent Market Monitor (IMM) for PJM revealed the staggering cost shift that has already occurred. Collateral requirements in large load tariffs help protect other ratepayers by ensuring large loads can cover costs like unpaid bills, exit fees, or penalties if they default or leave their contract early. In essence, these requirements can be designed to reduce the likelihood that stranded costs or solvency issues are passed on to other customers. Large load tariffs currently use a variety of formulas to establish the minimum monthly billing demand. The three most common ways large load tariffs to date are setting this minimum is with a percent of the customer contract capacity (often 75–90 percent), the customer’s historical peak, or a fixed floor.

  • California electricity rates also have been increasing rapidly in recent years—not only growing faster than inflation but also outpacing growth in other states.
  • Shifts risk from utility ratepayers and investors to insurers and property owners.
  • This adds risk for investors (bondholders and shareholders) and, therefore, increases IOU financing costs (bond interest rates and shareholder returns).
  • However, consumer decisions about whether or not to adopt these alternative technologies depend, in part, on electricity rates.
  • The capital markets are often thought as a “black box” of buyers and sellers rapidly exchanging millions of dollars.
  • Pursuant to Chapter 547 of 2015 (SB 350, de León), the California Air Resources Board also established specific 2030 GHG targets for emissions from the electricity sector.

Energy equity: Reforming utilities’ business plans by rebalancing ratepayers’ financial risks

And they do this while imposing egregiously high fixed charges that discourage clean energy efforts. In a system of shared-costs and risks, utilities would not be able to recover costs of their stranded assets from ratepayers. Regulators could require a much lower return for central station power plant investments to shift investment to distributed resources, and order shareholders to shoulder all or most of their stranded costs. In this report, we generally refer to these charges—regardless of how they are structured—as rates.

ratepayer risk

Trump Admin’s Ratepayer Protection Pledge: What It Means for Hyperscalers

An irrevocable financing order means that once a state utility commission authorizes the securitization charges, that order cannot be repealed or altered until the bonds are fully repaid. This provides legal certainty that the cashflows supporting the bonds will remain intact regardless of political or regulatory changes. In practice, it ensures bondholders are insulated from legislative risk over the life of the bonds.

CleanAI: Proving Out the Power of Hybrid Microgrids for AI Data Centers

The regulatory compact requires that if ratepayers bear such costs, they must be compensated for such burdens once the utility sells the property. Only a fraction of proposed data centers actually get built, making it difficult for grid operators and power system regulators to correctly estimate future electricity loads. So-called phantom data centers — projects that are proposed but never materialize — can create speculative interconnection requests.

A “bond trustee” handles implementation and most enabling legislation requires a commission-approved competitive solicitation in which “hundreds of trustees compete” to determine the trustee, he added. The utility is responsible to its shareholders and the bank underwriting the securitized bonds, which means “utility and ratepayer interests might not be aligned.” The first of the two agreements covered the construction of special facilities requested by STACK that exceed PG&E’s design standards. Under this agreement, STACK would pay the actual costs PG&E incurred to construct the special facilities, rather than the estimated costs as specified in PG&E’s tariffs.

“If these issues are shown to require active intervention, the CPUC can take appropriate steps.” In California, use of securitization to recover wildfire-related losses for utilities, some of it already approved, could involve as much as $12.5 billion. Regulators and utilities agree authority on securitization should be in enabling state law to make certain proceedings are done with high standards and are backed by the authority of the state.

Regulators, utilities, lawmakers and ratepayers – oh my!

The December stimulus bill included $25 billion for unpaid rent and utility bills, and the Biden proposal would add $5 billion, but unpaid 2020 bills could require up to $70 billion, according to Moody’s Analytics Chief Economist Mark Zandi. Unpaid utility bills alone could reach $35 billion to $40 billion by March 2021, NEADA Executive Director Mark Wolfe said in November. On October 30, 2025, the CPUC adopted Resolution E-5420, approving two agreements between PG&E and STACK Infrastructure (STACK) to interconnect and energize a 90 MW data center developed by STACK. The bill was one of three with nearly identical language to shift the cost of building SMRs to customers. Senate Bill 423 would establish a smaller pilot project for SMRs and currently is stalled in the House, and House Bill 1007 had the exact language of SEA 424, but that language was removed from the legislation after Braun signed the 424 into law. We believe that the Commission should be the final decision maker, and we will provide all the information and analysis that you will need to reach a fair and equitable resolution of these complex issues.

ratepayer risk

In the absence of that standard, “underwriters and https://www.thisisdornoch.com/listing/lower-whinhill/ investors will have the negotiating leverage to dictate a final cost to ratepayers.” Securitization could address that debt, though state-enabling legislation is inconsistent in availability and in providing robust oversight, RMI’s Varadarajan said. “But even if securitization’s benefits are diluted, it can be of significant value to ratepayers because interest rates are almost always reduced” compared to typical utility interest rates. Shutoff moratoria allowing COVID-19-impacted residential and small business customers to defer utility payments without losing service have been invaluable to millions, according to the National Energy Assistance Directors’ Association (NEADA). But when the pandemic fades, national economic recovery could be impacted by potentially huge debts to utilities, NEADA added.

ratepayer risk

Data centers also need to be operational 99.999% of the time, requiring constant redundancies. Shifts costs and future risks among ratepayers, IOU investors, insurers, and property owners. Net effect on each group depends on details of the fund, such as initial contributions, process for settling claims, and future reimbursements to the fund. Because recent environmental lawsuits blocked solar projects in the California desert, utility companies there will be lucky to get halfway to their state-imposed mandate of 30 percent power generation from renewable sources anytime soon.

Usage in printed sourcesFrom:

  • Indeed, energy usage from data centers alone is anticipated to double within five years, with forecasts suggesting they will account for about 12% of US electricity usage by 2028.
  • Moreover, ratepayers bear the equivalent risk that forecasts will overstate needed utility rates of return in a given year, yet the utilities do not contend we should give ratepayers extra gains based on inherent unreliability in forecasting.
  • In a utility bankruptcy during his tenure, “we discovered the tax treatment could affect ratepayer value over time by around a billion dollars, and understanding that allowed reaching a settlement.”
  • But enabling state legislation is necessary for credit agencies to provide the AAA credit rating for securitized debt that makes interest rates low.
  • For example, Appalachian Power Company and Wheeling Power Company’s Schedules L.C.P. and I.P.

To balance the risk of stranded costs against the promise of additional revenues presented by the data center, the CPUC adopted a modified methodology to distribute STACK’s full refund. The remaining 25 percent of the collected transmission-related revenues will be held back for ongoing maintenance and broader grid upgrades that are not part of the direct energization of STACK’s facilities. Under the CPUC’s approach, STACK is expected to receive the full refund in about six years.

The AI Power Crunch: Why Google’s Flexible-Load Blueprint Could Signal a New Era for Digital Infrastructure

Many publicly owned utilities also offer NEM programs, but the policies are adopted by their individual boards (rather than CPUC) and thus vary. Electric utility bills often reflect a number of other state and local taxes and charges. For example, many local jurisdictions impose utility taxes that are used to support local programs, such as fire response and parks.

The longest minimum contract terms (20 years) still fall short of most grid asset lifespans. When a large load’s contract ends, significant remaining infrastructure costs might then fall to other customers. Regulators, utilities, and policymakers will have http://www.portobellocc.org/pccpn/2015/07/21/edinburgh-fuel-poverty-report-published/ to continue to evaluate whether that risk is balanced against the benefits of rates that attract customers. California Public Utilities Commission (CPUC) Recently Modified Structure of Solar Credits Provided to Investor‑Owned Utility (IOU) Customers. Customers of IOUs who contracted for solar installations before April 2023 participate in programs called NEM 1.0 or 2.0.

Read More

New Hampshire Lawmakers Block Nuclear Reactor Plan Over Ratepayer Risk Fight

ratepayer risk

In PJM, the influx of data center load has fundamentally distorted the supply-demand balance. An exhaustive analysis by the Independent Market Monitor (IMM) for PJM revealed the staggering cost shift that has already occurred. Collateral requirements in large load tariffs help protect other ratepayers by ensuring large loads can cover costs like unpaid bills, exit fees, or penalties if they default or leave their contract early. In essence, these requirements can be designed to reduce the likelihood that stranded costs or solvency issues are passed on to other customers. Large load tariffs currently use a variety of formulas to establish the minimum monthly billing demand. The three most common ways large load tariffs to date are setting this minimum is with a percent of the customer contract capacity (often 75–90 percent), the customer’s historical peak, or a fixed floor.

  • California electricity rates also have been increasing rapidly in recent years—not only growing faster than inflation but also outpacing growth in other states.
  • Shifts risk from utility ratepayers and investors to insurers and property owners.
  • This adds risk for investors (bondholders and shareholders) and, therefore, increases IOU financing costs (bond interest rates and shareholder returns).
  • However, consumer decisions about whether or not to adopt these alternative technologies depend, in part, on electricity rates.
  • The capital markets are often thought as a “black box” of buyers and sellers rapidly exchanging millions of dollars.
  • Pursuant to Chapter 547 of 2015 (SB 350, de León), the California Air Resources Board also established specific 2030 GHG targets for emissions from the electricity sector.

Energy equity: Reforming utilities’ business plans by rebalancing ratepayers’ financial risks

And they do this while imposing egregiously high fixed charges that discourage clean energy efforts. In a system of shared-costs and risks, utilities would not be able to recover costs of their stranded assets from ratepayers. Regulators could require a much lower return for central station power plant investments to shift investment to distributed resources, and order shareholders to shoulder all or most of their stranded costs. In this report, we generally refer to these charges—regardless of how they are structured—as rates.

ratepayer risk

Trump Admin’s Ratepayer Protection Pledge: What It Means for Hyperscalers

An irrevocable financing order means that once a state utility commission authorizes the securitization charges, that order cannot be repealed or altered until the bonds are fully repaid. This provides legal certainty that the cashflows supporting the bonds will remain intact regardless of political or regulatory changes. In practice, it ensures bondholders are insulated from legislative risk over the life of the bonds.

CleanAI: Proving Out the Power of Hybrid Microgrids for AI Data Centers

The regulatory compact requires that if ratepayers bear such costs, they must be compensated for such burdens once the utility sells the property. Only a fraction of proposed data centers actually get built, making it difficult for grid operators and power system regulators to correctly estimate future electricity loads. So-called phantom data centers — projects that are proposed but never materialize — can create speculative interconnection requests.

A “bond trustee” handles implementation and most enabling legislation requires a commission-approved competitive solicitation in which “hundreds of trustees compete” to determine the trustee, he added. The utility is responsible to its shareholders and the bank underwriting the securitized bonds, which means “utility and ratepayer interests might not be aligned.” The first of the two agreements covered the construction of special facilities requested by STACK that exceed PG&E’s design standards. Under this agreement, STACK would pay the actual costs PG&E incurred to construct the special facilities, rather than the estimated costs as specified in PG&E’s tariffs.

“If these issues are shown to require active intervention, the CPUC can take appropriate steps.” In California, use of securitization to recover wildfire-related losses for utilities, some of it already approved, could involve as much as $12.5 billion. Regulators and utilities agree authority on securitization should be in enabling state law to make certain proceedings are done with high standards and are backed by the authority of the state.

Regulators, utilities, lawmakers and ratepayers – oh my!

The December stimulus bill included $25 billion for unpaid rent and utility bills, and the Biden proposal would add $5 billion, but unpaid 2020 bills could require up to $70 billion, according to Moody’s Analytics Chief Economist Mark Zandi. Unpaid utility bills alone could reach $35 billion to $40 billion by March 2021, NEADA Executive Director Mark Wolfe said in November. On October 30, 2025, the CPUC adopted Resolution E-5420, approving two agreements between PG&E and STACK Infrastructure (STACK) to interconnect and energize a 90 MW data center developed by STACK. The bill was one of three with nearly identical language to shift the cost of building SMRs to customers. Senate Bill 423 would establish a smaller pilot project for SMRs and currently is stalled in the House, and House Bill 1007 had the exact language of SEA 424, but that language was removed from the legislation after Braun signed the 424 into law. We believe that the Commission should be the final decision maker, and we will provide all the information and analysis that you will need to reach a fair and equitable resolution of these complex issues.

ratepayer risk

In the absence of that standard, “underwriters and https://www.thisisdornoch.com/listing/lower-whinhill/ investors will have the negotiating leverage to dictate a final cost to ratepayers.” Securitization could address that debt, though state-enabling legislation is inconsistent in availability and in providing robust oversight, RMI’s Varadarajan said. “But even if securitization’s benefits are diluted, it can be of significant value to ratepayers because interest rates are almost always reduced” compared to typical utility interest rates. Shutoff moratoria allowing COVID-19-impacted residential and small business customers to defer utility payments without losing service have been invaluable to millions, according to the National Energy Assistance Directors’ Association (NEADA). But when the pandemic fades, national economic recovery could be impacted by potentially huge debts to utilities, NEADA added.

ratepayer risk

Data centers also need to be operational 99.999% of the time, requiring constant redundancies. Shifts costs and future risks among ratepayers, IOU investors, insurers, and property owners. Net effect on each group depends on details of the fund, such as initial contributions, process for settling claims, and future reimbursements to the fund. Because recent environmental lawsuits blocked solar projects in the California desert, utility companies there will be lucky to get halfway to their state-imposed mandate of 30 percent power generation from renewable sources anytime soon.

Usage in printed sourcesFrom:

  • Indeed, energy usage from data centers alone is anticipated to double within five years, with forecasts suggesting they will account for about 12% of US electricity usage by 2028.
  • Moreover, ratepayers bear the equivalent risk that forecasts will overstate needed utility rates of return in a given year, yet the utilities do not contend we should give ratepayers extra gains based on inherent unreliability in forecasting.
  • In a utility bankruptcy during his tenure, “we discovered the tax treatment could affect ratepayer value over time by around a billion dollars, and understanding that allowed reaching a settlement.”
  • But enabling state legislation is necessary for credit agencies to provide the AAA credit rating for securitized debt that makes interest rates low.
  • For example, Appalachian Power Company and Wheeling Power Company’s Schedules L.C.P. and I.P.

To balance the risk of stranded costs against the promise of additional revenues presented by the data center, the CPUC adopted a modified methodology to distribute STACK’s full refund. The remaining 25 percent of the collected transmission-related revenues will be held back for ongoing maintenance and broader grid upgrades that are not part of the direct energization of STACK’s facilities. Under the CPUC’s approach, STACK is expected to receive the full refund in about six years.

The AI Power Crunch: Why Google’s Flexible-Load Blueprint Could Signal a New Era for Digital Infrastructure

Many publicly owned utilities also offer NEM programs, but the policies are adopted by their individual boards (rather than CPUC) and thus vary. Electric utility bills often reflect a number of other state and local taxes and charges. For example, many local jurisdictions impose utility taxes that are used to support local programs, such as fire response and parks.

The longest minimum contract terms (20 years) still fall short of most grid asset lifespans. When a large load’s contract ends, significant remaining infrastructure costs might then fall to other customers. Regulators, utilities, and policymakers will have http://www.portobellocc.org/pccpn/2015/07/21/edinburgh-fuel-poverty-report-published/ to continue to evaluate whether that risk is balanced against the benefits of rates that attract customers. California Public Utilities Commission (CPUC) Recently Modified Structure of Solar Credits Provided to Investor‑Owned Utility (IOU) Customers. Customers of IOUs who contracted for solar installations before April 2023 participate in programs called NEM 1.0 or 2.0.

Read More

Ratepayer Protection Pledge Deep Dive: AI & Grid Risks

ratepayer risk

As we discuss below, electricity rates support the main components of the electricity system, as well as various other activities. Improves ability to raise capital and likely reduces ratepayer financing costs primarily to pay for wildfire claims, but not for other utility infrastructure expenditures. Given the risks and costs to utility ratepayers identified above, many have called for the state to make further changes to how the state allocates and finances utility wildfire costs. Utilities generally buy commercial insurance to cover costs related to unexpected events such as wildfires. For example, the largest IOUs have policies that cover roughly $1 billion in damages.

Ratepayer risk?

Below, we discuss some other important questions for the Legislature when considering how to allocate utility wildfire costs. Increases incentives for property owners to reduce wildfire risk and might reduce utility incentive to reduce risk. Net effect on risk ultimately depends on many different factors, including CPUC regulatory actions and oversight.

Phantom loads & utility forecasting: AI’s impact on the US electric grid

ratepayer risk

The utility sector has the wealth and raw political power, augmented from time to time by criminal enterprise, to delay this transition for decades at enormous cost to the public and the environment. The only way to stop this outcome is rewiring the utility business model, down to the studs, and the governance structures and norms of America’s public utility commissions. “Taken together, all these measures suggest the pledge is less a standalone federal rule and more a signal that states can use to support stronger cost allocation, ratepayer protection, and reliability requirements as AI-driven datacenter demand grows,” Yashkova said. The true-up mechanism allows utilities to adjust the customer surcharge periodically to correct for over- or under-collections. This adjustment ensures that bondholders receive timely payments regardless of fluctuations in electricity usage, customer migration, or unexpected events. It functions as an “unlimited credit enhancement,” since charges can always be reset as needed to meet the debt service requirements.

The proposed 24% reciprocal tariff on Malaysian imports into the US was postponed through early July, but it remains to be seen if tariffs will actually shift consumer behavior in amid AI’s robust demands — or if the cost will simply be passed onto end customers. Even then, concerns over cost and reliability mean energy companies buy large amounts only when required to do so by law. When those subsidies run out, transmission lines targeted for such deliveries could become costly white https://www.canisciolti.info/tips-for-the-average-joe-4/ elephants. With securitizations accelerating in use and size, financial advisors can be important, sometimes in unexpected ways, he added. In a utility bankruptcy during his tenure, “we discovered the tax treatment could affect ratepayer value over time by around a billion dollars, and understanding that allowed reaching a settlement.” Ratings agencies and the bond market “determine the rates” and the issuing financial institution has the “legal obligation to obtain the lowest offered rates in the market,” Howe said.

Recent in Business

Utilities acquire land, improvements and other assets to serve their utility customers with the understanding that they will place the assets in rate base and be compensated with a reasonable rate of return. Ratepayers will cover the utilities’ operational costs (maintenance, repairs, depreciation if applicable, taxes and other carrying costs). After a utility is found to cause a fire, the utility can be viewed as a more risky investment, which can increase the costs of raising money to pay wildfire claims and other utility expenses. The costs of raising money (by issuing debt and equity) are generally passed on to ratepayers.

To the extent that these factors raise electricity rates, that will increase already high cost burdens on Californians and make meeting the state’s ambitious climate goals through electrification even more difficult. Accordingly, the Legislature likely will confront difficult decisions about how to approach electricity rates in order to best support its varied goals, including balancing the desires to both mitigate and adapt to climate change as well as preserve affordability. Electricity is a modern necessity, essential to keeping our homes cool and food from spoiling, maintaining basic human hygiene, and—with increasing prevalence—powering our transportation. Yet electricity rates in California are relatively high and have been increasing rapidly, putting growing strains on ratepayers across the state. Many residents who earn lower incomes or live in hotter regions of the state are feeling these growing costs even more acutely.

Second, some view the CPUC prudent manager standard as difficult for IOUs to meet because they must prove, by a preponderance of the evidence, that they acted prudently in how they managed their operations in order for the CPUC to approve cost recovery. Utilities are increasingly using ratepayer-backed bonds (RBBs) to provide financial protection against extreme weather and more broadly, the energy transition. Consequently, we outline best practices for public utility commissions and ratepayer advocates to reduce financing costs and protect ratepayers in the execution of RBBs. Earlier this month, a group of leading hyperscalers and AI companies agreed to fund the power generation and grid infrastructure required to support their expanding data center footprints. The move is aimed at reducing pressure on the U.S. electrical system and shielding ratepayers from rising costs. Within a Given Utility, Some Customers Pay Substantially More for Electricity Than Others.

  • This includes assignments in Texas, Wisconsin, Vermont, New Jersey and West Virginia as well as Florida.
  • In making these decisions, the Legislature likely will face trade‑offs related to its various priorities, such as equity and cost effectiveness.
  • Capacity markets function as an insurance policy for the grid, paying electricity generators to guarantee they will be available to produce power during peak demand periods up to three years in the future.
  • (We discuss the CARE program in further detail later in this report.) Additionally, electricity rates support various other costs, such as related to decommissioning nuclear facilities.

The Breakdown of the Socialized Cost Model

Whatever the reasons for the energy crisis – an imperfect market structure, market manipulation, regulatory and competitive failures – it is clear that the crisis did not arise because of electric utilities’ ownership of land, buildings or other assets. Thus, the fact that the energy crisis occurred should not change our decision on how to allocate routine capital gains. For too long, the debate at state public utility commissions (PUCs), which regulate these utility monopolies, has focused on utilities’ drive for profit. PUCs mostly debate cost-shifting among distributed solar and non-solar customers, ratepayers not paying enough and cost-benefit analyses that can suppress investment in vital energy efficiency programs.

In the coming years, the Legislature will face decisions about whether it is comfortable with CPUC’s current authority and decisions related to fixed charges or would prefer a different approach. To the extent that the Legislature would like to modify CPUC’s authority, it will face choices about how it would like to do so, whether that be directing CPUC to increase fixed charges, returning to a statutorily defined cap on fixed charges, or pursuing another alternative. Chapter 488 of 2006 (AB 32, Núñez) established the goal of limiting GHG emissions statewide to 1990 levels by 2020. In 2016, Chapter 249 (SB 32, Pavley) extended the limit to 40 percent below 1990 levels by 2030.

Exit fees can be designed to discourage large load customers from leaving their contract early or overestimating their capacity needs. If they leave early, default, or significantly reduce their capacity, these fees can help cover the costs the utility has already incurred to serve them. Exit fees are often tied to other parts of the tariff like notice requirements, collateral rules, contract length, or capacity reassignment allowances. For example, AEP Ohio’s Schedule Data Center Tariff allows the customer to terminate the contract for a fee equal to 36 months of minimum charges, but only after five years in the contract and with three years of advanced notice. The data used in this article is sourced directly from Halcyon, a deep research software platform that uses AI to make it easy to find and analyze energy information.

ratepayer risk

This requirement can be reduced up to 70 percent for customers with sufficient credit standing or liquidity. A few large load tariffs have also tied collateral requirements to the full cost of certain infrastructure built for the large load. Growing Demands for Funding to Pay for Programs Aimed at Supporting State Climate Policies. As mentioned previously, the state has adopted goals for broad‑scale electrification, such as the expansion of ZEVs and electric appliances. Electricity is needed for many different types of essential—and desired—activities in modern life.

Read More

Ratepayer Protection Pledge Deep Dive: AI & Grid Risks

ratepayer risk

As we discuss below, electricity rates support the main components of the electricity system, as well as various other activities. Improves ability to raise capital and likely reduces ratepayer financing costs primarily to pay for wildfire claims, but not for other utility infrastructure expenditures. Given the risks and costs to utility ratepayers identified above, many have called for the state to make further changes to how the state allocates and finances utility wildfire costs. Utilities generally buy commercial insurance to cover costs related to unexpected events such as wildfires. For example, the largest IOUs have policies that cover roughly $1 billion in damages.

Ratepayer risk?

Below, we discuss some other important questions for the Legislature when considering how to allocate utility wildfire costs. Increases incentives for property owners to reduce wildfire risk and might reduce utility incentive to reduce risk. Net effect on risk ultimately depends on many different factors, including CPUC regulatory actions and oversight.

Phantom loads & utility forecasting: AI’s impact on the US electric grid

ratepayer risk

The utility sector has the wealth and raw political power, augmented from time to time by criminal enterprise, to delay this transition for decades at enormous cost to the public and the environment. The only way to stop this outcome is rewiring the utility business model, down to the studs, and the governance structures and norms of America’s public utility commissions. “Taken together, all these measures suggest the pledge is less a standalone federal rule and more a signal that states can use to support stronger cost allocation, ratepayer protection, and reliability requirements as AI-driven datacenter demand grows,” Yashkova said. The true-up mechanism allows utilities to adjust the customer surcharge periodically to correct for over- or under-collections. This adjustment ensures that bondholders receive timely payments regardless of fluctuations in electricity usage, customer migration, or unexpected events. It functions as an “unlimited credit enhancement,” since charges can always be reset as needed to meet the debt service requirements.

The proposed 24% reciprocal tariff on Malaysian imports into the US was postponed through early July, but it remains to be seen if tariffs will actually shift consumer behavior in amid AI’s robust demands — or if the cost will simply be passed onto end customers. Even then, concerns over cost and reliability mean energy companies buy large amounts only when required to do so by law. When those subsidies run out, transmission lines targeted for such deliveries could become costly white https://www.canisciolti.info/tips-for-the-average-joe-4/ elephants. With securitizations accelerating in use and size, financial advisors can be important, sometimes in unexpected ways, he added. In a utility bankruptcy during his tenure, “we discovered the tax treatment could affect ratepayer value over time by around a billion dollars, and understanding that allowed reaching a settlement.” Ratings agencies and the bond market “determine the rates” and the issuing financial institution has the “legal obligation to obtain the lowest offered rates in the market,” Howe said.

Recent in Business

Utilities acquire land, improvements and other assets to serve their utility customers with the understanding that they will place the assets in rate base and be compensated with a reasonable rate of return. Ratepayers will cover the utilities’ operational costs (maintenance, repairs, depreciation if applicable, taxes and other carrying costs). After a utility is found to cause a fire, the utility can be viewed as a more risky investment, which can increase the costs of raising money to pay wildfire claims and other utility expenses. The costs of raising money (by issuing debt and equity) are generally passed on to ratepayers.

To the extent that these factors raise electricity rates, that will increase already high cost burdens on Californians and make meeting the state’s ambitious climate goals through electrification even more difficult. Accordingly, the Legislature likely will confront difficult decisions about how to approach electricity rates in order to best support its varied goals, including balancing the desires to both mitigate and adapt to climate change as well as preserve affordability. Electricity is a modern necessity, essential to keeping our homes cool and food from spoiling, maintaining basic human hygiene, and—with increasing prevalence—powering our transportation. Yet electricity rates in California are relatively high and have been increasing rapidly, putting growing strains on ratepayers across the state. Many residents who earn lower incomes or live in hotter regions of the state are feeling these growing costs even more acutely.

Second, some view the CPUC prudent manager standard as difficult for IOUs to meet because they must prove, by a preponderance of the evidence, that they acted prudently in how they managed their operations in order for the CPUC to approve cost recovery. Utilities are increasingly using ratepayer-backed bonds (RBBs) to provide financial protection against extreme weather and more broadly, the energy transition. Consequently, we outline best practices for public utility commissions and ratepayer advocates to reduce financing costs and protect ratepayers in the execution of RBBs. Earlier this month, a group of leading hyperscalers and AI companies agreed to fund the power generation and grid infrastructure required to support their expanding data center footprints. The move is aimed at reducing pressure on the U.S. electrical system and shielding ratepayers from rising costs. Within a Given Utility, Some Customers Pay Substantially More for Electricity Than Others.

  • This includes assignments in Texas, Wisconsin, Vermont, New Jersey and West Virginia as well as Florida.
  • In making these decisions, the Legislature likely will face trade‑offs related to its various priorities, such as equity and cost effectiveness.
  • Capacity markets function as an insurance policy for the grid, paying electricity generators to guarantee they will be available to produce power during peak demand periods up to three years in the future.
  • (We discuss the CARE program in further detail later in this report.) Additionally, electricity rates support various other costs, such as related to decommissioning nuclear facilities.

The Breakdown of the Socialized Cost Model

Whatever the reasons for the energy crisis – an imperfect market structure, market manipulation, regulatory and competitive failures – it is clear that the crisis did not arise because of electric utilities’ ownership of land, buildings or other assets. Thus, the fact that the energy crisis occurred should not change our decision on how to allocate routine capital gains. For too long, the debate at state public utility commissions (PUCs), which regulate these utility monopolies, has focused on utilities’ drive for profit. PUCs mostly debate cost-shifting among distributed solar and non-solar customers, ratepayers not paying enough and cost-benefit analyses that can suppress investment in vital energy efficiency programs.

In the coming years, the Legislature will face decisions about whether it is comfortable with CPUC’s current authority and decisions related to fixed charges or would prefer a different approach. To the extent that the Legislature would like to modify CPUC’s authority, it will face choices about how it would like to do so, whether that be directing CPUC to increase fixed charges, returning to a statutorily defined cap on fixed charges, or pursuing another alternative. Chapter 488 of 2006 (AB 32, Núñez) established the goal of limiting GHG emissions statewide to 1990 levels by 2020. In 2016, Chapter 249 (SB 32, Pavley) extended the limit to 40 percent below 1990 levels by 2030.

Exit fees can be designed to discourage large load customers from leaving their contract early or overestimating their capacity needs. If they leave early, default, or significantly reduce their capacity, these fees can help cover the costs the utility has already incurred to serve them. Exit fees are often tied to other parts of the tariff like notice requirements, collateral rules, contract length, or capacity reassignment allowances. For example, AEP Ohio’s Schedule Data Center Tariff allows the customer to terminate the contract for a fee equal to 36 months of minimum charges, but only after five years in the contract and with three years of advanced notice. The data used in this article is sourced directly from Halcyon, a deep research software platform that uses AI to make it easy to find and analyze energy information.

ratepayer risk

This requirement can be reduced up to 70 percent for customers with sufficient credit standing or liquidity. A few large load tariffs have also tied collateral requirements to the full cost of certain infrastructure built for the large load. Growing Demands for Funding to Pay for Programs Aimed at Supporting State Climate Policies. As mentioned previously, the state has adopted goals for broad‑scale electrification, such as the expansion of ZEVs and electric appliances. Electricity is needed for many different types of essential—and desired—activities in modern life.

Read More

Ratepayer Protection Pledge Deep Dive: AI & Grid Risks

ratepayer risk

As we discuss below, electricity rates support the main components of the electricity system, as well as various other activities. Improves ability to raise capital and likely reduces ratepayer financing costs primarily to pay for wildfire claims, but not for other utility infrastructure expenditures. Given the risks and costs to utility ratepayers identified above, many have called for the state to make further changes to how the state allocates and finances utility wildfire costs. Utilities generally buy commercial insurance to cover costs related to unexpected events such as wildfires. For example, the largest IOUs have policies that cover roughly $1 billion in damages.

Ratepayer risk?

Below, we discuss some other important questions for the Legislature when considering how to allocate utility wildfire costs. Increases incentives for property owners to reduce wildfire risk and might reduce utility incentive to reduce risk. Net effect on risk ultimately depends on many different factors, including CPUC regulatory actions and oversight.

Phantom loads & utility forecasting: AI’s impact on the US electric grid

ratepayer risk

The utility sector has the wealth and raw political power, augmented from time to time by criminal enterprise, to delay this transition for decades at enormous cost to the public and the environment. The only way to stop this outcome is rewiring the utility business model, down to the studs, and the governance structures and norms of America’s public utility commissions. “Taken together, all these measures suggest the pledge is less a standalone federal rule and more a signal that states can use to support stronger cost allocation, ratepayer protection, and reliability requirements as AI-driven datacenter demand grows,” Yashkova said. The true-up mechanism allows utilities to adjust the customer surcharge periodically to correct for over- or under-collections. This adjustment ensures that bondholders receive timely payments regardless of fluctuations in electricity usage, customer migration, or unexpected events. It functions as an “unlimited credit enhancement,” since charges can always be reset as needed to meet the debt service requirements.

The proposed 24% reciprocal tariff on Malaysian imports into the US was postponed through early July, but it remains to be seen if tariffs will actually shift consumer behavior in amid AI’s robust demands — or if the cost will simply be passed onto end customers. Even then, concerns over cost and reliability mean energy companies buy large amounts only when required to do so by law. When those subsidies run out, transmission lines targeted for such deliveries could become costly white https://www.canisciolti.info/tips-for-the-average-joe-4/ elephants. With securitizations accelerating in use and size, financial advisors can be important, sometimes in unexpected ways, he added. In a utility bankruptcy during his tenure, “we discovered the tax treatment could affect ratepayer value over time by around a billion dollars, and understanding that allowed reaching a settlement.” Ratings agencies and the bond market “determine the rates” and the issuing financial institution has the “legal obligation to obtain the lowest offered rates in the market,” Howe said.

Recent in Business

Utilities acquire land, improvements and other assets to serve their utility customers with the understanding that they will place the assets in rate base and be compensated with a reasonable rate of return. Ratepayers will cover the utilities’ operational costs (maintenance, repairs, depreciation if applicable, taxes and other carrying costs). After a utility is found to cause a fire, the utility can be viewed as a more risky investment, which can increase the costs of raising money to pay wildfire claims and other utility expenses. The costs of raising money (by issuing debt and equity) are generally passed on to ratepayers.

To the extent that these factors raise electricity rates, that will increase already high cost burdens on Californians and make meeting the state’s ambitious climate goals through electrification even more difficult. Accordingly, the Legislature likely will confront difficult decisions about how to approach electricity rates in order to best support its varied goals, including balancing the desires to both mitigate and adapt to climate change as well as preserve affordability. Electricity is a modern necessity, essential to keeping our homes cool and food from spoiling, maintaining basic human hygiene, and—with increasing prevalence—powering our transportation. Yet electricity rates in California are relatively high and have been increasing rapidly, putting growing strains on ratepayers across the state. Many residents who earn lower incomes or live in hotter regions of the state are feeling these growing costs even more acutely.

Second, some view the CPUC prudent manager standard as difficult for IOUs to meet because they must prove, by a preponderance of the evidence, that they acted prudently in how they managed their operations in order for the CPUC to approve cost recovery. Utilities are increasingly using ratepayer-backed bonds (RBBs) to provide financial protection against extreme weather and more broadly, the energy transition. Consequently, we outline best practices for public utility commissions and ratepayer advocates to reduce financing costs and protect ratepayers in the execution of RBBs. Earlier this month, a group of leading hyperscalers and AI companies agreed to fund the power generation and grid infrastructure required to support their expanding data center footprints. The move is aimed at reducing pressure on the U.S. electrical system and shielding ratepayers from rising costs. Within a Given Utility, Some Customers Pay Substantially More for Electricity Than Others.

  • This includes assignments in Texas, Wisconsin, Vermont, New Jersey and West Virginia as well as Florida.
  • In making these decisions, the Legislature likely will face trade‑offs related to its various priorities, such as equity and cost effectiveness.
  • Capacity markets function as an insurance policy for the grid, paying electricity generators to guarantee they will be available to produce power during peak demand periods up to three years in the future.
  • (We discuss the CARE program in further detail later in this report.) Additionally, electricity rates support various other costs, such as related to decommissioning nuclear facilities.

The Breakdown of the Socialized Cost Model

Whatever the reasons for the energy crisis – an imperfect market structure, market manipulation, regulatory and competitive failures – it is clear that the crisis did not arise because of electric utilities’ ownership of land, buildings or other assets. Thus, the fact that the energy crisis occurred should not change our decision on how to allocate routine capital gains. For too long, the debate at state public utility commissions (PUCs), which regulate these utility monopolies, has focused on utilities’ drive for profit. PUCs mostly debate cost-shifting among distributed solar and non-solar customers, ratepayers not paying enough and cost-benefit analyses that can suppress investment in vital energy efficiency programs.

In the coming years, the Legislature will face decisions about whether it is comfortable with CPUC’s current authority and decisions related to fixed charges or would prefer a different approach. To the extent that the Legislature would like to modify CPUC’s authority, it will face choices about how it would like to do so, whether that be directing CPUC to increase fixed charges, returning to a statutorily defined cap on fixed charges, or pursuing another alternative. Chapter 488 of 2006 (AB 32, Núñez) established the goal of limiting GHG emissions statewide to 1990 levels by 2020. In 2016, Chapter 249 (SB 32, Pavley) extended the limit to 40 percent below 1990 levels by 2030.

Exit fees can be designed to discourage large load customers from leaving their contract early or overestimating their capacity needs. If they leave early, default, or significantly reduce their capacity, these fees can help cover the costs the utility has already incurred to serve them. Exit fees are often tied to other parts of the tariff like notice requirements, collateral rules, contract length, or capacity reassignment allowances. For example, AEP Ohio’s Schedule Data Center Tariff allows the customer to terminate the contract for a fee equal to 36 months of minimum charges, but only after five years in the contract and with three years of advanced notice. The data used in this article is sourced directly from Halcyon, a deep research software platform that uses AI to make it easy to find and analyze energy information.

ratepayer risk

This requirement can be reduced up to 70 percent for customers with sufficient credit standing or liquidity. A few large load tariffs have also tied collateral requirements to the full cost of certain infrastructure built for the large load. Growing Demands for Funding to Pay for Programs Aimed at Supporting State Climate Policies. As mentioned previously, the state has adopted goals for broad‑scale electrification, such as the expansion of ZEVs and electric appliances. Electricity is needed for many different types of essential—and desired—activities in modern life.

Read More

Ratepayer Protection Pledge Deep Dive: AI & Grid Risks

ratepayer risk

As we discuss below, electricity rates support the main components of the electricity system, as well as various other activities. Improves ability to raise capital and likely reduces ratepayer financing costs primarily to pay for wildfire claims, but not for other utility infrastructure expenditures. Given the risks and costs to utility ratepayers identified above, many have called for the state to make further changes to how the state allocates and finances utility wildfire costs. Utilities generally buy commercial insurance to cover costs related to unexpected events such as wildfires. For example, the largest IOUs have policies that cover roughly $1 billion in damages.

Ratepayer risk?

Below, we discuss some other important questions for the Legislature when considering how to allocate utility wildfire costs. Increases incentives for property owners to reduce wildfire risk and might reduce utility incentive to reduce risk. Net effect on risk ultimately depends on many different factors, including CPUC regulatory actions and oversight.

Phantom loads & utility forecasting: AI’s impact on the US electric grid

ratepayer risk

The utility sector has the wealth and raw political power, augmented from time to time by criminal enterprise, to delay this transition for decades at enormous cost to the public and the environment. The only way to stop this outcome is rewiring the utility business model, down to the studs, and the governance structures and norms of America’s public utility commissions. “Taken together, all these measures suggest the pledge is less a standalone federal rule and more a signal that states can use to support stronger cost allocation, ratepayer protection, and reliability requirements as AI-driven datacenter demand grows,” Yashkova said. The true-up mechanism allows utilities to adjust the customer surcharge periodically to correct for over- or under-collections. This adjustment ensures that bondholders receive timely payments regardless of fluctuations in electricity usage, customer migration, or unexpected events. It functions as an “unlimited credit enhancement,” since charges can always be reset as needed to meet the debt service requirements.

The proposed 24% reciprocal tariff on Malaysian imports into the US was postponed through early July, but it remains to be seen if tariffs will actually shift consumer behavior in amid AI’s robust demands — or if the cost will simply be passed onto end customers. Even then, concerns over cost and reliability mean energy companies buy large amounts only when required to do so by law. When those subsidies run out, transmission lines targeted for such deliveries could become costly white https://www.canisciolti.info/tips-for-the-average-joe-4/ elephants. With securitizations accelerating in use and size, financial advisors can be important, sometimes in unexpected ways, he added. In a utility bankruptcy during his tenure, “we discovered the tax treatment could affect ratepayer value over time by around a billion dollars, and understanding that allowed reaching a settlement.” Ratings agencies and the bond market “determine the rates” and the issuing financial institution has the “legal obligation to obtain the lowest offered rates in the market,” Howe said.

Recent in Business

Utilities acquire land, improvements and other assets to serve their utility customers with the understanding that they will place the assets in rate base and be compensated with a reasonable rate of return. Ratepayers will cover the utilities’ operational costs (maintenance, repairs, depreciation if applicable, taxes and other carrying costs). After a utility is found to cause a fire, the utility can be viewed as a more risky investment, which can increase the costs of raising money to pay wildfire claims and other utility expenses. The costs of raising money (by issuing debt and equity) are generally passed on to ratepayers.

To the extent that these factors raise electricity rates, that will increase already high cost burdens on Californians and make meeting the state’s ambitious climate goals through electrification even more difficult. Accordingly, the Legislature likely will confront difficult decisions about how to approach electricity rates in order to best support its varied goals, including balancing the desires to both mitigate and adapt to climate change as well as preserve affordability. Electricity is a modern necessity, essential to keeping our homes cool and food from spoiling, maintaining basic human hygiene, and—with increasing prevalence—powering our transportation. Yet electricity rates in California are relatively high and have been increasing rapidly, putting growing strains on ratepayers across the state. Many residents who earn lower incomes or live in hotter regions of the state are feeling these growing costs even more acutely.

Second, some view the CPUC prudent manager standard as difficult for IOUs to meet because they must prove, by a preponderance of the evidence, that they acted prudently in how they managed their operations in order for the CPUC to approve cost recovery. Utilities are increasingly using ratepayer-backed bonds (RBBs) to provide financial protection against extreme weather and more broadly, the energy transition. Consequently, we outline best practices for public utility commissions and ratepayer advocates to reduce financing costs and protect ratepayers in the execution of RBBs. Earlier this month, a group of leading hyperscalers and AI companies agreed to fund the power generation and grid infrastructure required to support their expanding data center footprints. The move is aimed at reducing pressure on the U.S. electrical system and shielding ratepayers from rising costs. Within a Given Utility, Some Customers Pay Substantially More for Electricity Than Others.

  • This includes assignments in Texas, Wisconsin, Vermont, New Jersey and West Virginia as well as Florida.
  • In making these decisions, the Legislature likely will face trade‑offs related to its various priorities, such as equity and cost effectiveness.
  • Capacity markets function as an insurance policy for the grid, paying electricity generators to guarantee they will be available to produce power during peak demand periods up to three years in the future.
  • (We discuss the CARE program in further detail later in this report.) Additionally, electricity rates support various other costs, such as related to decommissioning nuclear facilities.

The Breakdown of the Socialized Cost Model

Whatever the reasons for the energy crisis – an imperfect market structure, market manipulation, regulatory and competitive failures – it is clear that the crisis did not arise because of electric utilities’ ownership of land, buildings or other assets. Thus, the fact that the energy crisis occurred should not change our decision on how to allocate routine capital gains. For too long, the debate at state public utility commissions (PUCs), which regulate these utility monopolies, has focused on utilities’ drive for profit. PUCs mostly debate cost-shifting among distributed solar and non-solar customers, ratepayers not paying enough and cost-benefit analyses that can suppress investment in vital energy efficiency programs.

In the coming years, the Legislature will face decisions about whether it is comfortable with CPUC’s current authority and decisions related to fixed charges or would prefer a different approach. To the extent that the Legislature would like to modify CPUC’s authority, it will face choices about how it would like to do so, whether that be directing CPUC to increase fixed charges, returning to a statutorily defined cap on fixed charges, or pursuing another alternative. Chapter 488 of 2006 (AB 32, Núñez) established the goal of limiting GHG emissions statewide to 1990 levels by 2020. In 2016, Chapter 249 (SB 32, Pavley) extended the limit to 40 percent below 1990 levels by 2030.

Exit fees can be designed to discourage large load customers from leaving their contract early or overestimating their capacity needs. If they leave early, default, or significantly reduce their capacity, these fees can help cover the costs the utility has already incurred to serve them. Exit fees are often tied to other parts of the tariff like notice requirements, collateral rules, contract length, or capacity reassignment allowances. For example, AEP Ohio’s Schedule Data Center Tariff allows the customer to terminate the contract for a fee equal to 36 months of minimum charges, but only after five years in the contract and with three years of advanced notice. The data used in this article is sourced directly from Halcyon, a deep research software platform that uses AI to make it easy to find and analyze energy information.

ratepayer risk

This requirement can be reduced up to 70 percent for customers with sufficient credit standing or liquidity. A few large load tariffs have also tied collateral requirements to the full cost of certain infrastructure built for the large load. Growing Demands for Funding to Pay for Programs Aimed at Supporting State Climate Policies. As mentioned previously, the state has adopted goals for broad‑scale electrification, such as the expansion of ZEVs and electric appliances. Electricity is needed for many different types of essential—and desired—activities in modern life.

Read More
UA-81405524-1