Monday, May 28, 2012

Review of State of Charge by Union of Concerned Scientists


Review of State of Charge by Don Anair & Amine Mahmassani, Union of Concerned Scientists (UCS)

This new report, subtitled Electric Vehicles’ Global Warming Emissions and Fuel-Cost Savings across
the United States, provides excellent and accurate factual support for conversion of the U.S. transportation system from gasoline to electricity.  The report correctly notes:

·         Even if electricity is generated by coal, electric vehicles produce less greenhouse gases than the average gasoline powered vehicle.  However, high mileage hybrids would be cleaner in this case.

·          For the typical mix of coal, natural gas, and other energy sources, electric cars are much cleaner than average cars and are cleaner than high mileage hybrids

·         For regions that use little or no coal, electric vehicles are "far and away the best choice"

·         The real goal should be to run electric vehicles on electricity generated by renewables, with practically no greenhouse gases.

 The analysis is based on full life cycle costs of energy production.

The report uses a technique similar to the way that EPA measures the efficiency of electric vehicles.  For example,  EPA estimates that the electricity used to power a Chevy Volt creates greenhouse gases comparable to a hypothetical gasoline car that would get 94 miles per gallon.   

State of Charge computes the miles per gallon equivalent of greenhouse gases for different methods of producing electricity.  The report uses a conservative 2.9 miles per kilowatt hour (0.34 kwh/mile); I say conservative since our first year with the Volt gave us 3.1 miles per kwh (0.32 kwh/mile).  But this does not change the general thrust of the UCS conclusions.  For the four cases above, the report provides a useful rule of thumb comparing regions based on coal use:

Region
Equivalent miles per gallon
Greenhouse gas reduction compare to 27 mpg gasoline vehicle
High Coal
31-40
11 - 33%
Average mix
41-50
33% - 46%
Low coal
51+
More than 46%

Here is a map of the U.S. from the report showing where the high, average, and low coal areas are located in the U.S.:












The report also includes a good discussion of the advantages of Time of Use (TOU) electric rates, since most EV charging happens overnight in the low cost periods.  Certainly people living in areas that do not offer TOU rates should push their utilities for such rate structure improvements.

The report also discusses the advantages of adding separate meters for an EV, where the utility allows that.  This feature ensures that the electric usage of the EV does not push the house rate into higher rate tiers as a "Whole House" rate might do.  For example, the report estimates that in our home town of Oakland, using the straight electric rates, we would save $50 per year vs. buying gasoline at $3.50 per gallon and getting 27 mpg.  Using the TOU rates for the whole house we would save $500 per year.  And using a separate meter we would save $1,120.  (more on this below).

Finally the report discusses various pros and cons about plug-in hybrids and all electric vehicles, providing useful price comparisons of different cars now on the market.

My main criticism of the report is that I feel it could be stronger on the urgency of eliminating fossil fuels from electricity production to address global warming.  The report seems OK with "achieving greater than 80% reduction in global warming pollution by 2050".  True, this is an admirable goal given U.S. political reality, but, as Bill McKibben has said, "You can't negotiate with chemistry and physics."  At 394 parts per million (ppm) the earth is already way over the safe level of atmospheric CO2-- 350 ppm-- and CO2 is rising by 2.3 ppm per year.  At this rate, even if we gradually achieve zero CO2 emissions by 2050, we'll have added another 46 ppm to the atmosphere, bringing the total to 440 ppm.  Given the current climate chaos being created by 390 ppm, can we survive 440?  The report does note that the goal is a "zero emission future" (page 21), but I think the urgency of the situation is downplayed.

Another weakness is the report's handling of solar power. The report quotes a study by the California Center for Sustainable Energy that found that 33% of electric vehicle owners have solar panels.  And on page 25 it tepidly points out that solar panels "may be an option" for generating electricity.  But in discussing utility prices of electricity, it fails to understand what a great combination solar and EVs make.

How do I explain this without short circuiting my brain and yours, dear reader?  Let me try:

The key is to understand net metering.  Under net metering solar power is credited to your bill for the same price that the utility charges.  Fortunately, the sun is most powerful in the afternoon, right when electricity is most expensive, especially in the summer while all those air conditioners are running.  This means that solar is credited at around 35 cents per kwh in peak summer months.  Averaging summer peaks, weekend off peaks, and winter off peaks--solar earns about 15 cents per kwh for the whole year.

Now with low interest rates, tax credits ,and the dropping price of solar, the actual cost of solar is, coincidentally, as low as 15 cents per kwh.  Since PG&E's average rate is about 18 cents per kwh, it would pay most people to keep adding solar until their full PG&E bill is covered.  The trick is not to add so much solar that you end up having a negative bill.  Net metering will not pay you that negative amount.  If your solar panels generate more electricity than you use, PG&E pays a small amount.  It would be great if all the solar were reimbursed at its true value--i.e. a feed-in-tariff, but we're not there yet.  We need to learn from Germany on this, and work on our elected officials.

The cost of charging at night is around 7 cents per kwh--i.e. half of the amount paid for solar.  Therefore, it takes roughly 500 kwh of solar power to pay for 1000 kwh of car charging at night.  That means that the solar only costs 7 cents per kwh for the energy used to charge the car.  Not bad!

The TOU rate for solar only works if you use the "whole house" rate.  I.e. you can't use the solar just for the car at night, so the actual rate depends on how much electricity you use at home and when you use it.  Using the example of our house (with rounded numbers) for 2011:  Our 3.2 kilowatt solar system generated 4350 kwh.   Since the solar is paid at about 15 cents per kwh, it earned $650 in credit.  The car used 2400 kwh at 7 cents =  $170 and the house used 4,000 kwh at 12.5 cents per kwh for a cost of $500.  So the total net bill was $650 - 170 - 500 =  $20, which was covered by minimum charges.  For more details, see my two posts: "Everything is going according to plan"  and slight miscalculation .

Got it?  Solar is the way to go!

Now back to the UCS report:

I don't mean to diminish the value of the report by pointing out where I think it could be improved.  I feel that it is an important contribution to the effort to promote electric vehicles as a critical step in our attempts to reduce greenhouse gases.  I certainly agree with the following statement from the report's conclusion:
 "Only by making improvements to our electricity grid—by decreasing the use of coal and increasing the use of clean and renewable sources of electricity—will electric vehicles deliver their greatest global warming and air pollution benefits. Initiatives to clean up the electricity grid are occurring around the country, but additional efforts are needed both at the state and national level to ensure continued progress."


Friday, May 25, 2012

Third Letter to the California Public Utilities Commission on EV rates

Here is my latest letter to the CPUC regarding electricity rates for electric vehicles. 


May 24, 2012

CPUC Energy Division
Tariff Files, Room 4005
DMS Branch
505 Van Ness Avenue
San Francisco, California 94102
Facsimile: (415) 703-2200
E-mail: EDTariffUnit@cpuc.ca.gov

Dear CPUC:

I am writing with regard to Advice 3910-E-A,(Pacific Gas and Electric Company ID U 39 E) dated May 9, 2012. Subject: Modifications to Electric Rate Schedule E-9 for Residential Time-of-Use Service for Low Emission Vehicle Customers and Creation of New Schedule EV.
 
While this proposed modification represents an improvement to the previous proposal for electric rates for electric vehicles, I urge the Commission to delay approval until the Commission clarifies several points discussed below.

I feel that the key issue that the Commission should ask PG&E to address is "How does this proposal promote the mass conversion of vehicles from internal combustion engines to electric?" Clearly the Commission understands that this is a necessary and important goal. As the Commission stated in Decision 11-07-029: "Our goal is to create a future where residential Electric Vehicle charging will be the norm.”

Several particular questions need to be addressed:

1. Rates and Tier Structure

The most important price for EV owners is the off-peak rate, tier 1. The off-peak is key since that is when most of us charge our car's batteries--midnight to 7AM.

Tiers: Regarding tiers, as I have argued before (see attached letters below), the current tier structure of E9-A and E-9B allows an EV to go about 12,000 miles per year and still keep the electricity price in tier 1 and tier 2. Note that an average car is driven about 12,000 miles per year. Also, the tier structure encourages people to add solar panels to their roof in order to keep their usage down in the tier 1 level. It is true that people with more than one EV would be likely to move into higher tiers. However, many of these EV owners could add solar to avoid this under E-9A rates. I understand that the idea of eliminating tiers was endorsed by the CPUC in Decision 11-07-029, but I urge the commission to reconsider this position since I feel it was made using erroneous information.

Rates: The current E9, off-peak, tier 1 rate is about 5 cents per kwh (averaging winter and summer, E-9A and E-9B, adding in some tier 2 prices, and rounding off). The new EV rate is 10 cents per kwh--i.e. double the current rate. In talking with CPUC staff I learned that PG&E has non-bypassable costs of about 5 cents per kwh and distribution costs of about 2 cents per kwh. Then PG& E adds 3 cents per kwh for off-peak generation for a total of 10 cents. My concern is about the generation cost.

Eventually, I hope that millions of people will be charging their cars at night, taking advantage of wind power, which is plentiful at night. When that happens, I can understand paying whatever the appropriate cost of wind power is. However, right now, my understanding is that it costs as much to turn off the generators at night as it does to keep them running, so the nighttime cost of generation is negligible. I think PG&E needs to document this 3 cents per kwh generation cost that it intends to charge in the off-peak more clearly. Unless they can show that nighttime generation is actually costing them money (rather than saving them money since they don't have to shut off their generators), the off-peak price should be no more than 7 cents per kwh.

2. Why a 30,000 customer limit?

We agree that the CPUC goal is to make electric vehicles the norm. There are over 4 million registered autos in the Bay Area nine counties (see DMV Estimated Registered Vehiclesreport.) 30,000 is much too low as a cutoff figure. As noted above, when there are millions of electric vehicles, the nighttime prices will need to be adjusted. Why not set the limit at something more appropriate, like one million users? This will give manufacturers and consumers confidence that PG&E is solidly behind electric vehicles.

3. Why winter and weekend peaks?

The new rates introduce a winter peak to the pricing. They also introduce a weekend peak. In fact the weekend goes from off-peak directly to peak without any transition; this abrupt leap seems questionable. PG&E should document that weekend use is comparable to weekday peak hours. Similarly, adding a winter peak requires justification, even though it is priced lower than the summer peak. More explanation of these changes is warranted, especially since the CPUC did not request any such adjustment.


4. Who is Subsidizing Whom?

PG&E has made a point to structure its rates to avoid what they call "subsidies" for electric vehicles. I believe this argument is upside down. The true subsidy is for internal combustion engine (ICE) vehicles which produce 72% more CO2 than electric vehicles using PG&E's current grid. Electric vehicles powered with solar panels reduce CO2 by 88% compared to typical ICE vehicles (since they still produce CO2 in the manufacture of the car and the solar panels). Please see
How Clean are Electric Cars? for details.

Given that CO2 is causing global warming that threatens human civilization, anyone driving an ICE car is creating significant costs for both present and future generations. This does not even count the health costs from particulates and other chemicals caused by burning gasoline. PG&E would do well to document these significant costs and get behind the urgent need to convert our transportation system to electric vehicles running on renewable energy. The reality is that people who buy electric vehicles today are subsidizing everyone else since they are creating much less pollution than ICE drivers. Also, as early adopters, they help to bring the price of EVs down. California's State government is strongly supporting electric vehicles, so the CPUC policies should reflect that political will.

Summary

The price structure for PG&E should support the transition to electric vehicles powered by rooftop photovoltaic cells or other renewables. The current proposal, while an improvement over PG&E's original Advice 3910-E proposal last fall, still does not make an explicit effort to support EVs in accordance with State policy. I urge the Commission to develop a strategy that uses appropriate price signals to make electric vehicles the norm.

I think PG&E is sitting on a golden opportunity to become the key energy supplier for the transportation sector of our economy here in Northern California, and all California utilities have this same potential. While the new rates are superior to the previous proposal, they still need development. I would like to see PG&E get more enthusiastic as a backer of electric vehicles. It's good business for them, and essential for human survival.

I am attaching my letters of October 11 and November 22, 2011 for your reference.

Sincerely,

Jack Lucero Fleck
 
Attachment 1: letter of November 22, 2011:

Mr. Honesto Gatchalian
Energy Division
California Public Utilities Commission
505 Van Ness Avenue
San Francisco, CA 94102

Re: PG&E’s Reply to Protests of Pacific Gas and Electric Company’s Advice 3910-E (Modifications to Electric Rate Schedule E-9 for Residential Time-of-use Service for Low Emission Vehicle Customers)

Dear Mr.Gatchalian:

This is in response to PG&E’s Reply to Protests regarding Advice 3910-E.

I appreciate the PG&E letter to you dated November 14, 2011 signed by Brian Cherry, Mr. Cherry’s letter explains more clearly than Advice 3910-E why PG&E favors a rate change, however I still protest the rate change. Three key arguments that Mr. Cherry makes are that the rate change is necessary:

1) To cover PG&E’s costs.
2) To provide a non-tiered rate.
3) To avoid subsidizing EV owners.

1) Mr. Cherry’s letter states that PG&E wants to change the E9 rates because they “do not cover PG&E’s marginal cost of service.” He goes on to say that PG&E wants “to remedy the low rate problem. . . and establish rates that are more cost-based and reduce the current E-9 subsidies.”(page 3 of letter). Mr. Cherry explains that raising the Off-peak rates from 4 cents per kwh to 11 cents is the equivalent of raising the cost of driving an electric vehicle from $0.40 per gallon gas to $1.10 per gallon gas, and argues that this is still an “ample incentive” for EV use (page 4).

The letter explains that the rate is based on non-bypassable charges, distribution, and generation costs. The letter does make a good case for raising the rate to 5 cents per kwh when it explains that “non-bypassable charges currently total more than 5 cents per kwh”. The letter also defends the $8 distribution charge being proposed, although it states that “PG&E may be amenable to initially charging a lower amount and phasing in subsequent increases to the charge.” This suggests that the $8 is higher than the currently anticipated costs.

Please note that the current E9 rate includes a monthly minimum charge of $11.73, which is $3.73 more than the proposed distribution charges. This extra amount more than covers the non-bypassable shortfall since average EV customers only use 175 kwh per month for their cars per Mr. Cherry’s letter (page 1 of attachment 2)--Dividing $3.73/175 = 2 cents/kwh. Therefore the current E9 rates cover both the distribution costs and the non-bypassable charges.

With regard to generation costs, I do not see any clear justification of the proposed increase. The letter discusses generation costs on page 1 of Attachment 2. Point 6 states that the “proposed Generation rates for Schedules E-9A and E-9B assign the entire capacity-related portion of the generation revenue requirement to the Summer On-Peak and Part-Peak TOU periods, using the same cost allocation factors that are used for all other residential and small commercial TOU rates. Energy-related generation is assigned to all six summer and winter season TOU periods. . .”

However, one of the key points about EVs is that they are charged mostly in the off-peak periods—at home when people are sleeping--and therefore do not require any capacity increases, or add any strain during peak and part-peak time periods. The cost for electricity for EVs should be assigned based on the actual cost of Off-peak electricity generation. The letter makes no attempt to quantify the cost of Off-peak energy, and only makes the assertion that the rate should be increased.

As I stated in my letter to the CPUC dated October 11, 2011(see pasted below), the issue of cost is “addressed in CPUC decision 11-07-029 which states, ‘We find that the Commission should revisit the suitability of the utilities' Electric Vehicle residential rate schedules in 2013-2014.’” Given that the information provided by PG&E in their November 14 letter is not adequate to justify nearly tripling the Off-peak tier 1 rate, it is appropriate for the Commission to reject this request.

2) Regarding tiers, I pointed out in my previous letter to the Commission that the current tier structure allows EV drivers to stay in Tiers 1 and 2 as long as they drive less than 1200 miles per month (1,162 to be exact), which is well over the national average of 1,000 miles per month per vehicle. Driving 1200 miles would require about 363 kwh assuming 3.3 miles per kwh (my Chevy Volt). However, as noted above, Mr. Cherry’s letter states that the average charging load per EV is 175 kwh per month, which is much less than even the Tier 1 level of 271 kwh. In other words, the numbers in Mr. Cherry’s letter refute his claim that the “inclining block design provides a disincentive for, and is fundamentally at odds with goals of encouraging electric vehicle charging.” (page 3)

One group for whom the tiers could be a problem are people who own more than one electric vehicle. I only know of two such people, and neither of them has supported PG&E’s new rate proposal to my knowledge. In fact, one of them, Felix Kramer, was the one who urged me to write to protest this rate change. Clearly, the issue of multiple electric vehicle ownership is not one that requires immediate action.

The November 14 PG&E proposal does modify Advice 3910-E by restoring Off-peak rates to weekends. This is appreciated. However, the rates would still add a new Peak rate to the winter months. There is no data provided to support this change, so it should be rejected.

Mr. Cherry also argues that the current E9 rates “significantly reduce conservation signals for Tier 1 and Tier 2 usage.” But this ignores the fact that people who maintain their usage in Tiers 1 and 2 are already conserving energy by keeping in those tiers. As in the case with raising the rates discussed above, the idea of throwing out the tiers needs careful analysis and documentation. This is not provided in the letter of November 14, and the proposal should be rejected.

3) A third argument against the current E9 rates has to do with subsidies. There are two points here:

i) Is there currently a subsidy, and if so, how much is it?
ii) Should there be a subsidy?

i)The PG&E letter states that current rates result “in low emissions vehicle owners being subsidized by other customers.” However, as discussed above, because the letter does not clarify what PG&E’s Off-peak costs are, it does not demonstrate that there is actually a subsidy, nor does it explain how big the subsidy is.

Calculating the hypothetical subsidy is quite easy: For the sake of argument, let’s assume that PG&E’s new rate of 11 cents per kwh is appropriate. That would mean that current users are receiving a 7 cents/kwh subsidy in the Off-peak. According to Advice Letter 3910-E there are 359 customers currently on the E-9 rates—324 on E-9A and 35 on E-9B (page 4). Given the average of 175 kwh per month stated in Mr. Cherry’s letter, and assuming that all of this is in the Off-peak, the monthly subsidy would be 175 kwh x 7 cents/kwh x 359 customers = $4,397.75. Given that the PUC will reexamine all the rates in 2013, the subsidy in the next two years would total about $100,000. (24 months x $4,400 ) Even if electric vehicle ownership triples in those two years, the subsidy would still only be $300,000, a miniscule amount compared to PG&E’s annual revenue of $13 billion. And note that this assumes that PG&E’s proposed rate is correct, which PG&E has failed to demonstrate.

ii)Given the minor amount of PG&E’s alleged subsidy, there is no need for the Commission to take a position with regard to the larger issue of subsidizing electric vehicles at this time. However, since this is an important point that the Commission will have to deal with in the near future, I would like to offer some suggestions.

Both PG&E and the Commission agree that “EVs are to be encouraged”(page 4 of Mr. Cherry’s letter) and “Our goal is to create a future where residential Electric Vehicle charging will be the norm” (from CPUC decision 11-07-029). Mr. Cherry argues, however, that“neither state law nor Decision 1-07-029 mandate or even suggest a program of rate subsidization for EV charging.”

I am arguing that maintaining the current low rates does not really constitute a subsidy since electricity usage between midnight and 7 am is so low that the current EV charging is simply utilizing energy that would otherwise go to waste. As EV ownership becomes the norm, this will change. It is quite likely that overnight charging will eventually level out the demand so that electricity should be charged at nearly the same rate as daytime charging. See the graphic attached from the Networked EV conference held at PG&E on October 20, 2011, which demonstrates this“valley filling” concept.

In addition, I would argue that this is an excellent time to subsidize electric vehicles, while they are in the “early adopter” stage. In a few years, as battery technology improves, and prices of electric vehicles drop due to economies of scale, subsidies will not be needed. A small investment now will reap much bigger dividends in the future.

Mr. Cherry’s letter argues that subsidies are not appropriate because such subsidies come from those who “may not have the economic means to buy the vehicles.” He also notes that E-9 customers come from the more “affluent” areas. But this is exactly why it is important to keep the cost of charging EVs as low as possible. It’s true that most people cannot afford to buy new cars at all, but 13 million people in the U.S. are buying new cars this year, and many of these are not affluent people. Because PG&E now offers E9 rates for charging EVs, it is actually cheaper to buy and operate an EV than a typical car that gets 20 miles per gallon. Without those low charging rates, this advantage will disappear, acting as a disincentive to EV buyers.



To illustrate this: as Mr. Cherry’s letter notes, the E9 rates are comparable to 40 cents per gallon gasoline. Thus EV owners save $3.60 per gallon compared to $4.00 per gallon gas. If the gasoline car gets the U.S. average of 20 miles per gallon, that is a savings of 18 cents per mile. (20 cents per mile for gas vs. 2 cents per mile for electric) Driving 10,000 miles per year on the batteries would thus save $1800. The cost of financing an extra $15,000 to buy an electric car (note that this purchase price will come down as discussed above) is only $1,275 per year for a 15 year loan at the current rate of 3.25%. So, if you can obtain financing, an electric car saves you over $500 per year. Now, not everyone can obtain financing since housing prices have fallen, and home equity is much less than it was a few years ago, but the millions of who are buying cars, do deserve to have the option of buying electric. For these millions of people, the current E9 rates create a great incentive to buy an EV, and any increase in the rates will reduce that incentive.



Therefore, when the Commission does revisit the rates in 2013, I urge you to retain low rates for EVs, at least until their use of Off-peak electricity starts to require more generation costs. I would expect that, by that time, there will be hundreds of thousands of EVs, and their purchase price will be comparable to internal combustion engine (ICE) vehicles, but their overall costs, including PG&E’s suggested 11 cents per kwh for charging, will be much less than ICE vehicles.



Instead of squabbling over a very minor hypothetical subsidy, PG&E would be wise to see the big picture. They can very easily become the energy provider for the entire transportation sector in Northern California, save the environment by drastically reducing greenhouse gases, save thousands of lives by reducing air pollution, and rescue the national economy from oil imports all at the same time. This is a golden opportunity for PG&E to gain great publicity and international prestige, and secure a lucrative market. I urge the CPUC to retain the current E9 rates, and urge PG&E to promote the E9 rates for its own economic long term interests.



Sincerely,

Jack Lucero Fleck








Attachment 2: Letter to CPUC dated October 11, 2011



October 11, 2011



CPUC Energy Division
Tariff Files, Room 4005
DMS Branch
505 Van Ness Avenue
San Francisco, California 94102
 
Re: Advice No. 3910-E (Subject: Modifications of Electric Rate Schedule E-9 for Residential Time-of-Use Service for Low Emission Vehicle Customers)
 
Director, CPUC Energy Division, et al.

I wish to file a formal protest against the proposed rate changes to electric rate schedule E-9 as suggested by PG&E in Advice No. 3910-E in response to CPUC decision 11-07-029.

I agree strongly with the CPUC’s desire to promote electric vehicles (EVs) and to ensure that the rate structure provides incentives for electric vehicles and for charging in the off-peaks. It is clear that the intent of CPUC decision 11-07-029 is to seek off-peak charging and to lower costs for EVs in order to encourage their use. The decision states, “Electric Vehicles are uniquely positioned to contribute toward the policy goals set forth in AB 32 and ARB's 2008 Scoping Plan to encourage the electrification of the transportation sector as a means of reducing overall greenhouse gas emissions.” I also strongly concur with your statement, “Our goal is to create a future where residential Electric Vehicle charging will be the norm.”



I believe that CPUC decision 11-07-029 encourages “non-tiered” rates for EVs in order to promote EV ownership and to avoid excessive charges. This is a valid concern, especially in the case of EV owners who drive for more than 1200 miles per month on their batteries* or who have two or more electric vehicles. However, since the average number of miles driven per month in the U.S. is around 1,000 miles per vehicle, the current Tier structure accommodates the needs of most drivers.



Also, the elimination of tiers is contrary to the goal of energy conservation. Even though EVs are much more environmentally friendly than internal combustion engine vehicles, we should still encourage choices that conserve energy. And even if the EVs are powered by renewable energy, the issues of urban sprawl such as loss of wildlife and farmland, as well as problems of obesity associated with excessive reliance on automobiles, should be discouraged. The tiered rates promote such conservation and healthy choices.



I believe the emphasis of decision 11-07-029 is on bypassing disincentives for EV use. Unfortunately, PG&E’s proposal takes advantage of the CPUC recommendation to eliminate tiers, as an opportunity to address primarily the issue of cost. In the words of Advice No. 3910-E, “Schedule E-9 is both complex and outdated, and its tiered structure does not reflect PG&E’s cost of service.”



Now these may or may not be valid points, but they do not address the essence of the CPUC’s ecommendation to encourage EVs. I do not believe that the CPUC intended to discourage EV use by raising rates. And it is doubtful that the complexity of tiers is a serious problem since utility bills are currently tiered. Also, both of these issues are already addressed in CPUC decision 11-07-029 which states,“We find that the Commission should revisit the suitability of the utilities' Electric Vehicle residential rate schedules in 2013-2014.”



PG&E admits that their proposed rates would result in increases for the vast majority of people currently using E-9A and E-9B rates. Such an action is not at all compatible with encouraging EV use.



The simplest course of action would be to deny PG&E’s request. You could also consider allowing an option for a single tier for both E-9A and E-9B. This would benefit those who put a lot of miles on their EV or who have more than one.



You could also apply the single tier, albeit with a lower rate, only to the E-9B schedule. And you could also reduce electricity prices for only off-peak hours above tier 2 for both E-9(A) and (B), which would “bypass disincentives” to EV use.



It is important to understand that the E-9A rate is especially desirable for those who have solar panels on their roof as well as an EV. A recent study of Nissan Leaf owners (cited in the Santa Monica Daily Press) found that 30% have solar panels, and this is something the CPUC should strongly encourage. Rooftop solar panels produce enough electricity to keep total household consumption (both residential and EV) in Tier I and Tier II levels. This was the calculation we made when we sized our solar photovoltaic (PV) system. Changing the rates now would more than double our PG&E electric bill. This is no way to support California in replacing fossil fuels with clean energy and electric vehicles.



Combining PV and EVs is beneficial on many levels. It reduces greenhouse gases and air pollution; it reduces summer peak hour electricity consumption; and, as you have pointed out in decision 11-07-029 “night-time charging facilitates' integration of wind energy by using the storage capacity of the Electric Vehicles' batteries to transform California's predominantly nocturnal wind power resources into transportation fuel for daytime driving.”



Therefore, it is especially important to leave the E-9(A) rate unchanged.** Note that this is consistent with decision 11-07-029, which states, “Pacific Gas and Electric Company shall file an advice letter to modify Electric Rates Tariff Schedule E-9(B) to eliminate the tiers but retain time-variant pricing.”



However, as explained previously, I believe that the E-9(B) rate proposed in Advice No. 3910-E is excessive and ill-advised. PG&E admits that their proposal would increase rates for 34 of the 35 people now using E-9(B)—97%! This contradicts their claim that “PG&E’s proposed changes to Schedule E-9 are designed to be revenue neutral for electric vehicle customers.”



Two additional problems with Advice No. 3910-E are its elimination of weekend off-peak periods and its addition of a winter peak period. These appear to have no justification other than a rate increase and should be rejected by the Commission. PG&E presents disingenuous arguments to support these changes: e.g. “allow customers to more easily remember and understand the daily rate structure”, as if people don’t know when it is a weekend, and “to allow customers greater flexibility for their weekend and holiday charging needs” as if eliminating off-peak periods on the weekend is some kind of improvement.



Thank you for your consideration of these points, and also for your efforts to support electric vehicles and clean energy,



Sincerely,

Jack Lucero Fleck


*Calculation: The current baseline for Tier I averages 271 kwh per month. At 3.3 miles per kwh (our Chevy Volt) this is enough energy to drive 894 miles. Tier II allows 30% more mileage at a still low rate, i.e. 1,162 miles per month. So anyone driving less than 1,200 miles per month is almost entirely in Tier I and Tier II.



**Note that the following statement from decision 11-07-029 is true for many E-9(A) homes without solar power, but it is not true for most E-9(B) drivers, i.e. those driving less than 1,200 miles per month on their batteries: “the existing single meter Electric Vehicle rates effectively place the customer into the upper tiers of the rate structure due to the increased electric usage resulting from the customer's Electric Vehicle load.” Therefore, I am arguing that the E-9(A) rates are ideal for homes with EV and PV, and the E-9(B) rates are best for those with EV only. For both of the E-9 rates, the tiered system works well for most drivers.






Tuesday, May 22, 2012

Proposed PG&E Rate Change for Electric Vehicles

I was strongly opposed to the rate increase that the utility for Northern California, PG&E, proposed for electric vehicles last year.  (see my post October 12, 2011).  I was joined by about 75 other people who protested the change.

On May 9, 2012, PG&E came out with a new proposal.  While I wouldn't say that it is better than the existing rates, I would note that the total costs under the new proposal are not too much higher than the current total.  If PG&E will start publicizing this rate, which they have been reluctant to do for the existing rates, I think the change could end up being a positive one.

Here's a detailed discussion: (note that these numbers are revised as of 5/23 ane are different than my original post of 5/22)

The new rate is still Time of Use (TOU), which means that charging at night is still much cheaper than during the day.  Rates vary from 10 cents per kilowatt hour in the off peak to 20 cents in the partial peak, and to 36 cents in the summer peak, 27 cents in the new winter peak (more on this later).  The main difference is that the hourly rate will go from about 5 cents (counting some tier 2 use) to about 10 cents per kwh.  The new rate will have just one tier, while the old rate got more expensive with use above the baseline.   Offsetting the hourly increase, the minimum charges will drop from $11 to $4.50 per month.   Actually the main reason for the monthly decrease is that PG&E is installing smart meters for solar customers; the new meters will not require the $6.50 monthly meter fee in the near future, according to Jason King from PG&E. 

Let's see how the numbers come out for the new rate vs. the old in our case for one year: 
                                        Hourly charges              Meter Charges       Minimum Charges       Total
Current E-9A                         $25*                                 $78                      $54**                     $132
Proposed EV-A                    $150 (estimate)                   $0                       $54                        $150

*See previous posts for a detailed discussion of our electric charges/solar power production

So the new rate is higher by about $18 per year.  We could add two or three solar panels to our roof, and end up paying less to PG & E than we did last year because of the drop in meter charges.

What about the EV-B rates for people who choose to meter their car separately (typically without solar panels)?   Last year we drove 7,900 miles on the Volt's batteries, using an estimated 2,454 kilowatt hours of energy.  If we charged those all in the off peak on a separate meter here's how the new rates would compare:
                                         Hourly charges       Meter Charges         Minimum charges      Total
Current E-9B                          $125                        $78                        $54**                    $203
Proposed EV-B                       $242                       $ 18                         $0                        $260              

So for this case the new EV-B total would be $57 higher than the current total.  If we drove more, the difference would be greater.  For example if we drove 10,000 miles and used 3200 kwh, the current E-9B would cost $235 vs. the new rate of $332.

**Clarification:  It has taken me over a year to figure this out, but my new understanding (which is the reason that my numbers are revised) is that the minimum charge is factored into the annual "true-up" where all the credits (for high solar summer months) and charges (for low solar/high electricity winter months) are added up.  If the total of the credits minus charges is less than the $54 minimum charge, then the customer owes nothing additional.  If the total of credits minus charges is more than $54, then the $54 is deducted from the total of credits minus charges.  So in the calculations above, for the E-9A case for the new rates, there would be no balance due at the end of the year ($25 is less than the minimum charge of $54)  The total for year would be the sum of the meter charges plus minimum charges = $132.  For the E-9B case the total due at the end of the year would be $125 - 54 = $71.  The total paid would be $71 + $78 + $54 = $203.

There are still a few issues that I think need to be addressed.

1.  Why 10 cents per hour minimum?  As I understand it, PG&E has non-bypassable costs of about 5 cents per kwh and distribution costs of about 2 cents per kwh. Then PG& E adds 3 cents per kwh for off-peak generation for a total of 10 cents. My question is about the generation cost.

Eventually, I hope that millions of people will be charging their cars at night, taking advantage of wind power, which is plentiful at night.  When that happens, I can understand paying whatever the appropriate cost of wind power is.  However, right now, my understanding is that it costs as much to turn off the generators at night as it does to keep them running, so the nighttime cost of generation is negligible.  I think PG&E needs to document this 3 cents per kwh generation cost in the off-peak more clearly.

2.  Why a 30,000 customer limit?  Again, when there are millions of electric vehicle users, the nighttime prices will need to be adjusted.  But 30,000 seems very small. Why not set the limit at something more appropriate, like one million users.  This will give manufacturers and consumers confidence that PG&E is solidly behind electric vehicles.

3.  Why winter and weekend peaks?  The new rates introduce a winter peak to the pricing.  They also introduce a weekend peak.  In fact the weekend goes from off-peak directly to peak without any transition.  This abupt leap does not seem reasonable.  PG&E should document that weekend use is comparable to weekday peak hours.  Similarly, adding a winter peak requires justification.  I notice that the winter peak price is less than the summer peak, so this is appropriate, but more explanation of this new proposal is warranted, especially since the CPUC did not request any such adjustment.

Note that in my first draft of this post (5/22)  I asked, "Why a minimum charge?"  This was before I understood that the minimum charge is deducted from the total annual bill during the true-up period. 

One additional important point has to do with subsidies.  The true subsidy is for internal combustion engine (ICE) vehicles which produce 72% more CO2 than electric vehicles using PG&E's current grid.  Electric vehicles powered with solar panels reduce CO2 by 88% compared to typical ICE vehicles (since they still produce CO2 in the manufacture of the car and the solar panels).  Given that CO2 is causing global warming that threatens human survival, anyone driving an ICE car is creating significant costs for both present and future generations.  This does not even count the health costs from particulates and other chemicals caused by burning gasoline.  PG&E would do well to document these significant costs and get behind the urgent need to convert our transportation system to electric vehicles running on renewable energy.  People who buy electric vehicles today are subsidizing everyone else since they are creating much less pollution than ICE drivers.  Also, as early adopters, they help to bring the price of EVs down. California's state government is strongly supporting electric vehicles, so the CPUC policies should reflect that political will.

As I've stated before, I think PG&E is sitting on a golden opportunity to become the key energy supplier for the transportation sector of our economy here in Northern California.  I think the new rates are superior to the previous proposal, and are "not too bad".  Still I would like to see PG&E get more enthusiastic as a backer of electric vehicles.  It's good business for them, and essential for human survival.




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