MISO Sample Clauses

MISO. The Midcontinent Independent Transmission System Operator, 1 • 1 NERC: North American Electric Reliability Corporation. OHSUSA;753610993.14
MISO is organized as a non-stock, not-for-profit corporation, pursuant to Title 8, Chapter 1 of the laws of the State of Delaware. MISO is not to be organized for profit and shall be operated exclusively for the promotion of social welfare, in furtherance of the public policy reflected in the order of the FERC approving this Agreement and FERC Order No. 888. ▇▇▇▇ has secured an exemption from federal taxation pursuant to Section 501 of the Internal Revenue Code of 1986, as amended, or a successor provision (hereinafter “Internal Revenue Code”).
MISO. The Midcontinent Independent System Operator, Inc. or any successor organization.
MISO. Subject to the terms of this Agreement, including timely payment of all Fees owed, Miso shall have responsibility for the following: 4.1.1. Arrange for the transportation and delivery of the Product to the Installation Site and install the Product on a mutually agreeable date. 4.1.2. Program all of Customer’s menu items and recipes (cook times) into the Product. 4.1.3. Train the software to visually recognize and machine learn the Customer’s menu items. 4.1.4. Train all Customer personnel who attend training on the operation of the Product. 4.1.5. Remain on-site and available for sufficient days post-installation. 4.1.6. Monitor and measure the Product’s performance and report the data to Customer for evaluation. 4.1.7. Provide support of the Product in accordance with the SLA, as well as all maintenance and service of the Product. 4.1.8. Take all safety precautions related to its services in order to not proceed in a manner that jeopardizes the safety of Customer’s employees or guests and comply with all applicable laws. Any fines generated as a result of M▇▇▇’s non-compliance with a local, state, or federal safety regulation, rule, or law shall be the responsibility of Miso.
MISO. Midcontinent Independent System Operator and its successors, if any.
MISO. FERC requires MISO to be a signatory to all contracts related to facilities under MISO’s Functional Control. The Parties agree that the signature of ▇▇▇▇’s authorized officer acknowledges this E&P Agreement but that ▇▇▇▇ had no role in negotiating the terms of this agreement. The Parties further acknowledge that this E&P Agreement does not in any way state or imply that MISO is taking
MISO. MISO, its directors, officers, employees, contractors, and agents shall adhere to the Standards of Conduct set forth as Appendix A to the MISO TOA with regard to all activities related to this Agreement, the CFR Form, and the Operating Protocols.
MISO. 23 And also we think the whole idea of annually 24 recalculating the capacity payment is one that is likely 25 to produce significant controversy and considerable 1 expense for the parties, and we really believe that it 2 should be forecast in advance.
MISO. Midcontinent Independent System Operator, Inc., a non-profit, non-stock corporation organized and existing under the laws of the State of Delaware, or its successor organization, if any.
MISO. P.O. Box 4202 Carmel, IN ▇▇▇▇▇-▇▇▇▇ On February 28, 2022, Union Electric CompanyAmeren Missouri submitted an Attachment Y notice to MISO for the suspension of Rush Island Units 1 and 2 effective September 1, 2022. ▇▇▇▇ performed a Transmission System reliability assessment of Rush Island 1 and 2 set forth in the MISO Business Practices Manuals and was discussed and reviewed with the impacted Transmission Owners (TOs): Ameren Missouri, Ameren Illinois, South Illinois Power Cooperative, and Wabash Valley Power Alliance. After being reviewed for power system reliability impacts as provided for under Section 38.2.7 of MISO’s Open Access Transmission, Energy, and Operating Reserve Markets Tariff (“Tariff”), the analysis determined that there are reliability issues identified related to the suspension of Rush Island that require the generators to be designated as a System Support Resources (“SSR”) units. There were both severe steady state and stability violations that require the generators to be designated SSR units. In the summer peak case, there were five stability violations that did not meet Ameren voltage recovery criteria and would result in over 1,000 MW of load loss, which, if allowed, would be considered a potential Interconnection Reliability Operating Limit (IROL) within the MISO footprint in accordance with BPM-020 Section L.3.6. All voltage violations seen can be mitigated with load shed per MISO SSR criteria and additionally per WVPA there already exists operating guides to mitigate the known issues. Prior to this Attachment Y, ▇▇▇▇ also studied an Attachment Y-2 submitted by Union Electric Company – Ameren Missouri. This study had an effective date of June 1, 2023, but there were no other changes to study assumptions or system topology between the time the Attachment Y was submitted and the final Y-2 report. Therefore, the results of the Attachment Y-2 study will also be used to determine SSR need. The Attachment Y-2 report is included as an Appendix to this Attachment Y report. Three thermal violations were identified in three different scenarios in 2023 that require mitigation based on Ameren's Local Planning Criteria and one steady state voltage violation was identified for the winter peak case in 2023 and several stability voltage violations were identified for the summer peak case in 2023 that require Rush Island to be designated as System Support Resources (“SSR”) units following the stakeholder process. The transmission system was also...