From: Vickie Patton [vpatton@edf.org] 
Sent: 10/28/2012 12:42 AM AST 
To: Joseph Goffman 
Subject: Demand Response -- FERC Order 745 and Economics of RICE Engines 
 
 
 
Hi Joe, 
I have appended two sets of documents re demand response pertinent to EPA’s 
pending RICE NPRM.  
 
Best wishes, Vickie 
 
 
The first set of documents contain some of the major briefs filed in the pending (fully 
briefed but not argued) DC Circuit litigation re FERC Order 745 which eliminates 
barriers to demand response in the wholesale power market by providing for 
compensation at the locational market price/LMP. I have attached petitioners’ 
opening brief (names you will recognize) challenging FERC Order 745, FERC’s opening 
brief in defense of the Order which lays out a helpful summary of the Order, and an 
amicus brief filed by EDF et al. in which we address the threshold jurisdictional 
question as well as the considerable environmental benefits of demand response. 
EDF’s discussion in its amicus brief of the environmental benefits of FERC’s Order 
presupposes that poorly controlled diesel engines will not be available DR resources. 
During Stephen Johnson’s tenure as Administrator, EDF reached a resolution with EPA 
over EDF’s petition to list diesel as a HAP under 112 in which EPA committed to 
conduct a rulemaking establishing emission standards for stationary diesel (and gas) 
engines and did adopt such standards. FERC Order 745 is a major market reform 
initiative led by Chairman Wellinghoff that EDF strongly supports. See, e.g., 
Wellinghoff et al. Creating Regulatory Structures for Robust Demand Response 
Participation in Organized Wholesale Electric Markets, attached here.  
 
In addition, MJ Bradley and Associates, and I want to be transparent about that point, 
prepared an analysis of the emission control costs for RICE relative to the market 
revenues available to emergency RICE engines in NYISO and PJM reflected in the final 
document attached here. The central finding is that in both markets “the capacity and 
energy revenues would pay for the costs of emission controls in approximately one 
year, even if the engines were dispatched for only 15 hours.” The findings 
summarized below are direct excerpts from the attached economic analysis and are 
examined in more detail in the attached document. We set out the core findings of 
this analysis in our written comments to EPA. 
· The capital cost for diesel oxidation catalyst (DOC) and open crankcase 
ventilation (OCV) for a 500 hp engine is approximately $14,000. This includes 
the costs of equipment and installation. 
· In the PJM RTO, annual capacity market revenue available for a 500 hp engine 
from 2013-2015 would likely total over $60,000 in the PJM MAAC region and 
$30,000 in lower priced areas of the PJM RTO. 
· In NYISO, the capacity revenue available for a 500 hp engine would be in the 
range of $20,000 per year in the New York City area. 
· We estimate that the all-in dispatch cost for a 500 hp engine is $0.28/kWh 
($280/MWh). 
· In PJM, emergency energy prices paid to emergency DR resources have 
historically been in the $1,000/MWh range. Using this assumption, a 500 hp 
engine operating for 15 hours annually would earn approximately $3,600 in net 
energy revenue and an engine dispatched for the proposed 100 hour maximum 
would earn more than $24,000 in net energy revenue. 
· In NYISO, energy prices paid to emergency DR resources typically average 
$500/MWh. A 500 hp engine dispatched for 15 hours per year would earn 
approximately $1,100 in net energy revenue and an engine dispatched for the 
full 100 hours annually would earn more than $7,000 in net energy revenue. 
· In both ISOs, the capacity and energy revenues would pay for the costs of 
emission controls in approximately one year, even if the engines were 
dispatched for only 15 hours. 
 
 
 
This e-mail and any attachments may contain confidential and privileged information. If you are not the intended recipient, please notify the sender 
immediately by return e-mail, delete this e-mail and destroy any copies. Any dissemination or use of this information by a person other than the intended 
recipient is unauthorized and may be illegal. (See attached file: EPSA-ODEC-APPA-NRECA Initial Brief re 
745.pdf)(See attached file: FERC Brief re Order 745.pdf)(See attached file: FERC Order 745 
Amicus Brief CORRECTED Sept 14 - 2012 _FILED.pdf)(See attached file: Creating Regulatory 
Structures for Robust Demand Response Participation in Organized Wholesale Electric 
Markets.pdf)(See attached file: RICE Analysis - Economics - 2012.pdf)
