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1)Market concentration limits reduced from 40% to 30 % of available receipt point capacity. P.44 2)SoCal will be required to make available on a daily basis any unutilized firm RP capacity. P.45 3)Price Cap for secondary intrastate market set at 120 % of SoCal firm rate. This is the same cap that applies to SoCal.P.46 4)Bilas mentions support for Hector Rd. as a delivery/receipt at Ferc. 5)PD does not reduce the core's interstate capacity nor their storage capacities but rather maintains these capacities at current levels. Current level 1044 MMcfd, proposed 1000 MMcfd on the interstate system and current storage 70 BCF, 327 MMcfd of injection and 1,935 MMcfd withdrawal Vs proposed 55 BCF. P.52 &54. 6) CTA's (Core Transport Agents) allowed to reject only their prorata share of non-reliability storage service.P. 58 7) SoCal directed to present(via Advice Ltr.) how the cost of noncore default balancing will be allocated ONLY to those noncore customer using this service and not to the Core customers.P.62 8)PD rejects the requirement that SoCal/SDG&E file an application with a proposal to address core procurement function as the default provider. P.63 9)Preserves the right for SoCal/SDG&E to seek recovery of expenditures associated with the transfers of customers from Core to Core Aggregator. P.66 10)PD orders a 10 % cap on ITCS (stranded cost)responsibility borne by bundled core customers due to unbundled core interstate capacity. P. 75 11) PD orders that the core contribution to noncore ITCS will end effective the adoption of the PD. Additionally, noncore customers to pay 50% of core ITCS till the end of the core TW and EPNG agreements. The PD estimates an additional $18 million over next 5 to 6 years. P. 78 The PD provides an estimate of increased stranded cost for the noncore between 01 and 06 to be approx. $ 44.4 Million. 12) PD say NO to an increase in the core brokerage fee of $ 0.0039 (to $2.4 cents).P.83. 13) PD treats Core Subscription service differently on an accounting basis. P.85-87 14)Generally, the PD makes some administrative changes to the small core/ESP market rules and SoCal services and consumer protection implementation . P 88-100. 15)Lots of tweaking on how SoCal can recover the cost to implement to services envisioned under the CSA. P. 103-110.
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