Energy Storage System Application Guidelines

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Energy Storage System Application Guidelines Xcel Energy- Wisconsin January 18 th, 2019

Agenda Guidelines Development Process ESS Review Considerations Net Energy Metering (NEM) Integrity Application Process Declarations Operating Agreements

Xcel Energy Overview Serving eight states 3.6 million electricity customers 2 million natural gas customers Nationally Recognized Leader: Wind energy Energy efficiency Voluntary emissions reductions Pursuit of new technologies 3

Energy Storage System (ESS) Applications ESS have unique aspects leading to a more complex review Considerations: - Storage is an energy source and load - Net Energy Metering (NEM) Integrity Issues that affect the above considerations: - Multiple charge/discharge modes - Software/firmware-based control schemes - Lack of standards that regulate these issues 4

ESS Guidelines Development Process Conceptual Agreement on: - Load Visibility - NEM Integrity - Review of control modes/functions 5

ESS as a Source and Load Potential System Impacts As an Energy Source (even when non-exporting) Steady state voltage impacts Voltage fluctuations Equipment loading Operational Awareness ( Hidden loads) As a Load Increased loading of equipment 6

Net Energy Metering (NEM) Integrity Rate Schedule Pg-1 (Net Energy Billing Service) Must be Renewable Resource as defined by WI State Statute 196.374 Non-renewable energy is excluded for compensation under Schedule Pg-1 So, when is the ESS qualified for Net Energy Billing? Must be 100% charged by an onsite Renewable Resource UL Certification is being modified to address the NEM integrity use case which may simplify reviews in the future 7

Application Process Submit: Standard required documents (such as one-line, site plan, etc.) Standard Interconnection Application Form List Configuration Type in the Other Comments Section Declaration Form stating the system will operate as defined by the selected configuration(s) ESS Operational Information Questionnaire Application fees are based on the aggregate DER nameplate ratings being applied for- no special fees for ESS review 8

Possible Configurations 9

Operational Characteristic Questionnaire 1. Does energy storage export energy to the grid? 2. What source or sources charge the energy storage (i.e. utility, PV, diesel, etc.)? 3. Is a Renewable Resource part of the interconnection? a) Is the storage 100 % charged by a Renewable Resource? 4. Does the energy storage parallel with the grid or is it a stand-alone system? 5. What is the process for changing operational modes of the energy storage? a) Are the modes of operation settings accessible to the end user? 6. For non-export, how does the system control output so that storage power is not exported to the grid under normal conditions? 10

Declaration Forms Declaration Form filed with initial application Declares system as operating in one or several modes only Simplifies review by limiting the scope of the review to Declared Functionality At any time, changing the ESS to a mode not declared requires notifying the utility and may result in a technical review to determine if new impacts are anticipated. 11

Operating Agreements Operating Agreement will be attached to Interconnection Agreement Informed by Declaration Form 12

Self-supply and NEM Export One-line Example* Illustrate how the system can monitor source of energy and export magnitudes 13 *One-line is for conceptual purposes only. Does not include all information required for one-line review. Please refer to Document Requirements document for required information on one-line submittals.

Wisconsin ESS Guidelines Available on company website https://www.xcelenergy.com/working_with_us/how_to_interconnect 14

Questions? Thank you Alan Urban DER Integration Engineer Alan.M.Urban@xcelenergy.com