Examples of Exempt Renewable Technology in a sentence
NYISO explains that the UCAP Deration Factor will be based on the specific type of Exempt Renewable Technology being proposed by the Qualified Renewable Exemption Applicant.
For those renewable resources exemption applicants that are not powered solely by an Exempt Renewable Technology, but that meet the definition of Intermittent Power Resource49 or Limited Control Run-of-River Hydro Resource,50 NYISO proposes to 42 Proposed Services Tariff § 23.4.5.7.13.1.1(a).
The project can enter and Expedited Deliverability Study and may be deemed exempt from an Offer Floor, but it will not be able to receive a Self Supply exemption or a Renewable Exemption, unless it uses technology already identified in the Services Tariff as an Exempt Renewable Technology.
The NYISO is not proposing to include any other Intermittent Power Resource technology types or Limited Control Run-of-River Hydro Resources within the definition of Exempt Renewable Technology at this time.
Intermittent Power Resources and Limited Control Run-of River Hydro Resources that do not qualify for Exempt Renewable Technology treatment, could, however, qualify for a Renewable Exemption based on the NYISO’s determination pursuant to its analysis described in Section A.3 below.
NYISO proposes that a resource will be eligible for the renewable resources exemption if it satisfies one of two conditions: (1) the resource is an Exempt Renewable Technology; or (2) NYISO determines through an applicant-specific review that a generator not solely powered by an Exempt Renewable Technology has high development costs, and a low capacity factor such that it would have limited or no incentive and ability to artificially suppress ICAP market prices.4220.
Years with a Class Year Start Date during the Capability Years covered by the ICAP Demand Curve periodic review conducted for the relevant ICAP Demand Curve Reset Filing Year.22 Under proposed new Section 23.4.5.7.13.2.1(a), the NYISO first would identify “candidate intermittent renewable technologies.” These are the technologies that the NYISO would review for eligibility to be an Exempt Renewable Technology.
Some stakeholders argued that the tariff proposal should be designed so that any intermittent and renewable technology would be given the same treatment as an Exempt Renewable Technology; for example, a demonstration project still in the research and development stage.
It is also proposing a new Section 23.4.5.7.13.2 to govern the periodic review and, if warranted, modification of what constitutes an Exempt Renewable Technology.