STREAMLINING THE PROCESS Sample Clauses

STREAMLINING THE PROCESS. At least one other IOU has chosen to drop the requirement for hardcopies of the Offer package; to ▇▇▇▇▇▇ this now seems an appropriate step for PG&E to take, going forward. ▇▇▇▇▇▇ has some lingering concern about the Participants who fail to put all the information present in their hardcopy Offers into readable electronic form using the required format, but this may be dispelled if Offers are submitted entirely in electronic form. ▇▇▇▇▇▇ agrees that it is still best to submit electronic Offer packages by flash drive rather than by e-mail. Some Participants have objected to the volume of information that PG&E requires for a complete Offer. ▇▇▇▇▇▇ agrees that there are some opportunities to delete some required information that has little or no impact on a short-listing decision (such as project block diagrams and resumes of managers) in favor of seeking such information after short-listing. ▇▇▇▇▇▇ has suggestions for improving the methodology for assessing the value of Offers: • Use a discount rate based on an estimate of the cost of capital for power developers, rather than PG&E’s authorized cost of capital. ▇▇▇▇▇▇ believes that given the risks that face renewable project development (permitting, site control, interconnection, equipment procurement, financing, etc.) it is more appropriate to discount future benefits and costs of the projects using a higher discount rate representative of the riskier independent power industry, rather than that of a regulated monopoly. • Restudy the inputs to the model that set the basis for Resource Adequacy valuation. For example, it appears that PG&E’s current assumption for new entrant capital costs is materially higher than that embedded in the currently applicable Market Price Referent. ▇▇▇▇▇▇ believes that current assumptions (including the use of a regulated utility’s cost of capital as discount rate) cause the PG&E team to overstate the value of RA capacity, and that this tends to create distortions and biases in project valuation rankings. • Clarify that the most recent CAISO or PTO interconnection study (or interconnection agreement if available) is required in the Offer package. Without this non-public information it is difficult to assess an appropriate transmission adder other than using TRCR information, and data from either a Phase I or Phase II study report is more specific to a given resource than TRCR proxy estimates. • Develop LMP multipliers for CAISO interconnection points at the periphery of the balan...