Bloomberg New Energy Finance projects 40 percent of new U.S. car sales will be electric in 2030, with EVs cost-competitive without subsidies around 2025. That’s an extra 24 terawatt-hours, or half a percent of new flexible demand, added to America’s power system annually in just over a decade — a regulatory blink of an eye. Depending on when EVs charge, that translates to 3-6 gigawatts of flexible demand-response capacity added each year — roughly half of today’s total demand response capacity in PJM Interconnection.
Electric utilities will play a major role supporting transportation electrification, and as electricity providers, they will benefit from additional sales and infrastructure required to meet new demand. An ICCT report found a statistically significant link between grid-connected EV infrastructure and vehicle electrification, and a Brattle Group report showed electricity demand from a fully electrified transportation fleet in 2050 dwarfs potential lost sales from distributed solar generation by a factor of five.
So whether or not utilities are allowed to own and rate base charging infrastructure, massive investment opportunities are coming down the road. But if utility shareholders receive new earnings opportunities through EVs, what value will customers get in return?
Last year, America’s Power Plan published a five-step framework for getting the most out of grid modernization to ensure customers get the value promised from grid modernization investment programs. Electrification is one subset of these efforts, and a similar approach (adding market development as a precursor) can help regulators prepare for immense market changes. Getting the most out of vehicle electrification requires supporting market development, conducting integrated distribution planning, defining goals, setting metrics, defining targets and exploring changes to utility financial incentives.
Step 1a – Supporting market development
Before developing a comprehensive EV evaluation framework, utilities will have to experiment and innovate. In the short-term, before EVs ramp up, regulators should support innovative grid-edge applications through pilots and an initial round of EV infrastructure (rate based or not) laying the groundwork for EVs to become grid resources. In order to turn EVs into reliable demand response and storage resources, these applications need work to be made operational in a reliable way, including through communication protocols, standards and consistent operational practices. New rate designs will also have to be tested and developed.
PUCs haven’t yet developed robust frameworks for assessing the prudency of utility charging infrastructure investments, so initial approval of a closely watched first round of experimental investments can encourage innovation and inform regulation. Commissions may consider allowing utilities to provide incentives to help customers electrify in this early phase, then pare incentives back in the future under a more comprehensive approach as the scale and scope of EV infrastructure grows and the industry becomes more mature. The Rocky Mountain Institute report Pathways for Innovation provides a useful roadmap from experimentation to deployment.
Step 1b – Integrated distribution planning – EV edition
Integrated distribution planning (IDP) determines the hosting capacity and potential benefits of distribution system resources under different utility control scenarios — a prerequisite to optimize distributed energy resource deployment alongside conventional supply-side resources. IDP is heating up with new proceedings in Maryland, New Hampshire, New York and Minnesota (see the 50 States of Grid Modernization for the complete list), joining early adopter states like Hawaii and California.
Among other valuable results, IDP generates the data utilities need to understand where and when EV charging can provide the greatest benefit of all customers. One key element is location; IDP helps identify uncongested circuits with the smallest incremental cost of adding charging capacity. On congested circuits, EV chargers that would otherwise add to the stress can reduce their system-wide impact if customers receive charging incentives during periods of low demand. In addition, IDP allows utilities to:
- Plan for various rates of EV adoption
- Understand the benefits of smart versus regular chargers
- Plan for different combinations of autonomous vehicles, public EV fleets and individual customers
These efforts should be coordinated with municipal and state transportation agencies that will likely play primary roles in vehicle electrification, including route planning, congestion and clustering of public-facing chargers.
Finally, IDP provides visibility into the economics and viability of EVs as system resources for managing of wind and solar variability. Rather than build new natural gas peakers, smart chargers capable of responding to system operator control can help manage peaks by delaying charging.
Step 2 – Define the goals of a vehicle electrification program
The second step starts by asking what regulators, on behalf of customers, hope to achieve by allowing utility investments in EV deployment, and what role should the utility play? Traditional goals of affordable, reliable, safe power aren’t going anywhere, and EVs should help achieve these goals. But other goals, such as facilitating customer charging, improving local air quality, and power sector decarbonization are newer goals impacting EV infrastructure and demand management.
An obvious principle EV deployment goal should be increasing service convenience and quality for a growing EV customer base of while increasing EVs on the road. Serving customer demand for EVs, including disadvantaged communities, means facilitating new smart charger roll-out and demand management systems that help customers charge rapidly, in many locations, as cheaply as possible. Though investment is required, time-varying rates and demand response payments can help EVs enhance affordability, improve existing infrastructure efficiency, and enable autonomous EV charging and aggregation as flexible resources.
Local air quality is another common goal of vehicle electrification, which will likely benefit low-income communities that tend to have worse air quality than average. Because the utility plays a significant role supporting EV deployment, some benefits to local air quality can be attributed to their performance in promoting EV adoption.
EVs not only decarbonize the transportation sector, they also help decarbonize the power sector. Vehicle electrification has great potential to facilitate integrating local and bulk-system renewable energy resources, i.e. adding flexibility by shifting demand from one hour of the day to another, or providing short-term frequency response. Shifting is a key strategy for integrating variable renewables from the Regulatory Assistance Project report Teaching the Duck to Fly. If vehicle manufacturers and customers can agree on rules for discharging, this flexibility potential will nearly double.
Step 3 – Metrics of a successful vehicle electrification program
Metrics should focus on outcomes reflecting policymaker goals — if it is a state goal, electrification itself should be measured and publicly reported by the utility, in terms of energy (kilowatt-hours), customers (vehicles/customer), electric vehicle miles traveled, and peak-coincident charging. These four metrics help customers understand progress in meeting transportation electrification goals. Regulators can also consider comparing overall spending on charging infrastructure with electrification metrics, giving a sense of grid spending per unit of electrified transportation.
Often vehicle electrification outcomes are subsets of a greater goal, i.e. clean energy, affordability, or reliability. System metrics for grid modernization or clean energy can subsume vehicle integration metrics. Because new vehicles necessarily increase demand, utility performance in key areas like peak demand management (percent megawatt reduction), efficiency (kilowatt-hours per customer), or carbon emissions (carbon dioxide emissions per megawatt-hour) or other air pollution, must therefore account for “beneficial electrification,” while maintaining high standards for reducing impacts of EV adoption on those outcomes. For example, when New York’s Consolidated Edison recently adopted an outcome oriented efficiency metric, kilowatt-hour per customer, it normalized for vehicle and appliance electrification by adding in customer load to the target.
Step 4 – Create an open process to set targets
Once metrics are selected, reasonable targets can help guide utility planning. A transparent target-setting process should include plenty of time for stakeholder review and comment, and targets should be set far enough into the future to accommodate investment and program timelines. Regulators should consider the unique context of each region or utility, and place targets within a range that represents a stretch, but not an unreasonable one.
Pilots can be helpful where the potential for utilities to optimize EV charging via rates or demand response is unknown. For example, a recent BMW-Pacific Gas & Electric pilot program successfully demonstrated that EVs can serve as reliable and flexible grid assets, giving regulators a sense of what is possible.
Target setting is one part art and one part science, raising the importance of a transparent and predictable process for calibrating targets based on real-world performance. Laying out the target revision process ahead of time is critical to lowering utility investment risk.
Step 5 – Consider linking utility returns to performance
Smart Grid Hype & Reality notes that today’s “investor-owned utility rewards are based on processes (investment), not outcomes (performance).” To ensure utilities are properly motivated to deliver new power sector outcomes, regulators that are unsatisfied with the results of measurement and target setting should consider linking utility compensation to performance.
Many different resources explore options for reorienting utility compensation around performance, including Synapse’s Handbook on Utility Performance Incentive Mechanisms, America’s Power Plan’s Cost and Value Series parts one and two, RAP’s report for the Michigan PUC, and Ceres and Peter Kind’s Pathway to a 21st Century Utility. Many of these concepts are in the proving phase in the U.K., and are being implemented in New York and Massachusetts. They’re also being explored in “utility of the future” proceedings in Illinois, Ohio, Minnesota, Oregon and Hawaii.
For EVs in particular, two methods could be helpful — a conditional rate of return on charging infrastructure based on performance, (if allowed) and overall performance incentive mechanisms. Utility commissions have, and will undoubtedly continue to find it prudent for utilities to build, own, maintain, and operate charging infrastructure; particularly on public property, in low-income areas, and for large businesses and parking structures. In such cases, key metrics outlined above could be linked via basis point adjustments to utilities’ return on investment on those rate-based assets. Regulators could also set a revenue cap on charging infrastructure, with incentives to achieve electrification targets while spending below budget.
Performance incentives are essentially cash bonuses increasing utility returns if specific targets are met, while penalizing the utility when they fail. For example, a utility could be rewarded for reducing peak demand below the target set by regulators by turning off EV chargers when needed.
In sum, electrification presents a massive opportunity for utilities to invest productive capital into the distribution system. Reorienting utility investment around outcomes can help customers get commensurate value in return.
Michael O’Boyle represents America’s Power Plan.
This article was originally featured on greentechmedia.com.