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UNITED STATES OF AMERICA BEFORE THE FEDERAL ENERGY REGULATORY COMMISSION Requirements for Frequency and Voltage Ride Through Capability of Small Generating Facilities Docket No. RM16-8-000 COMMENTS OF THE NORTH AMERICAN ELECTRIC RELIABILITY CORPORATION IN RESPONSE TO NOTICE OF PROPOSED RULEMAKING The North American Electric Reliability Corporation ( NERC hereby provides Comments on the Federal Energy Regulatory Commission ( Commission Notice of Proposed Rulemaking to revise the pro forma Small Generator Interconnection Agreement ( SGIA. 1 As highlighted in the NOPR, NERC studies demonstrate the increasing impact of small generating facilities on the grid. 2 The NOPR would require small generating facilities interconnecting through the SGIA to ride through abnormal frequency and voltage events and not disconnect during such events. 3 The NOPR also proposes to require transmission providers to coordinate protective equipment settings with automatic load shedding programs. 4 The Commission s pro forma Large Generator Interconnection Agreement ( LGIA currently includes ride through requirements. The NOPR notes that technological developments now permit small generators to maintain ride through capability. 5 With these developments, the NOPR states that it would be unduly discriminatory not to impose the same ride through 1 Requirements for Frequency and Voltage Ride Through Capability of Small Generating Facilities, 154 FERC 61,222 ( NOPR. 2 NOPR, at P 7. 3 NOPR, at P 1. See also, NOPR, at n. 4 (defining ride through as a Generating Facility staying connected to and synchronized with the Transmission System during system disturbances within a range of overand under-frequency conditions, in accordance with Good Utility Practice. ; see id. at P 12 (proposing new Section 1.5.7. 4 Id. at P 12. 5 NOPR, at P 8. 1

requirements on smaller generators under the SGIA that are applicable to larger generators under the LGIA. 6 As described below, revisions to the SGIA to support ride through capability would be consistent with NERC reliability assessments. In support of these Comments, NERC states the following: I. COMMUNICATIONS Notices and communications with respect to these Comments may be addressed to the following: 7 Gerald W. Cauley* President and Chief Executive Officer Mark G. Lauby* Senior Vice President and Chief Reliability Officer North American Electric Reliability Corporation 3353 Peachtree Road NE Suite 600, North Tower Atlanta, GA 30326 Gerry.Cauley@nerc.net Mark.Lauby@nerc.net (404 446-2560 Charles A. Berardesco* Senior Vice President and General Holly A. Hawkins* Associate General Candice Castaneda* North American Electric Reliability Corporation 1325 G Street N.W., Suite 600 (202 400-3000 (202 644-8099 facsimile Charles.Berardesco@nerc.net Holly.Hawkins@nerc.net Candice.Castaneda@nerc.net II. COMMENTS As highlighted in the NOPR, 8 NERC has determined that the transforming resource mix may affect reliability of the Bulk Power System ( BPS, unless proactive measures are taken to address the integration of greater levels of variable energy and distributed energy resources. 9 6 NOPR, at PP 1 and 8-9. 7 Persons to be included on the Commission s service list are identified by an asterisk. NERC respectfully requests a waiver of Rule 203 of the Commission s regulations, 18 C.F.R. 385.203, to allow the inclusion of more than two persons on the service list in this proceeding. 8 NOPR, at P 8. 9 See, Comments of NERC in Response to NOPR on Reactive Power Requirements for Non-Synchronous Generation, Docket No. RM16-1-000, at Attachment A, NERC White Paper On FERC NOPR Proposal to Revise Standard Generator Interconnection Agreements, at pp.14-18 (filed Jan. 27, 2016 ( Reactive Power White Paper (supporting NERC s comments on the proposal to eliminate exemptions from reactive power requirements; and Essential Reliability Services Task Force Framework Report ( Framework Report (Dec. 2015, available at http://www.nerc.com/comm/other/essntlrlbltysrvcstskfrcdl/erstf%20framework%20report%20-%20final.pdf. 2

For example, NERC s 2015 Essential Reliability Services Task Force Framework Report ( Framework Report explained how distributed energy resources would increasingly affect the net amount of load on the distribution system. NERC noted that distributed energy resource frequency and voltage ride through capability are not well coordinated with NERC Reliability Standards (such as Reliability Standard PRC-024-2 (Generator Frequency and Voltage Protective Relay Settings. Loss of resources located on the distribution system can lead to events where the connection and/or disconnection of VERs [variable energy resources] may abruptly change the net distribution load during frequency excursions or voltage deviations. 10 NERC added that this might exacerbate a disturbance on the BPS, while better coordination of these resources, along with enabling them to ride-through certain levels of disturbances, could support reliability during these events. 11 Similarly, NERC 2016 Reactive Power White Paper summarized key NERC findings regarding voltage ride through. The Reactive Power White Paper noted the risk of inequitable voltage ride through requirements applicable to variable energy resources, such as dispersed power producing resources, 12 and explained that consistent voltage ride through requirements for synchronous and asynchronous generation would ensure consistent resource performance during system disturbances. 13 Therefore, proposals to apply consistent frequency and voltage ride through requirements under the SGIA and LGIA would be consistent with NERC reliability assessments related to the transforming resource mix. 10 Framework Report, at p. 21. 11 Id. 12 Reactive Power White Paper, at pp. 14-16. 13 Id. 3

III. CONCLUSION Wherefore, for the reasons stated above, revising the SGIA to impose ride through requirements would be consistent with the results of a number of NERC s reliability assessments. Respectfully submitted, Date: May 23, 2016 /s/ Candice Castaneda Holly A. Hawkins Associate General Candice Castaneda North American Electric Reliability Corporation 1325 G Street, N.W., Suite 600 (202 400-3000 (202 644-8099 facsimile holly.hawkins@nerc.net candice.castaneda@nerc.net for the North American Electric Reliability Corporation 4

CERTIFICATE OF SERVICE I hereby certify that I have served a copy of the foregoing document upon all parties listed on the official service lists compiled by the Secretary in Docket No. RM16-8-000. Dated at Washington, DC this 23 rd day of May, 2016. /s/ Candice Castaneda Candice Castaneda North American Electric Reliability Corporation 1325 G Street, N.W., Suite 600 (202 400-3000 candice.castaneda@nerc.net