Climate

News Topic ID
16

Final report examines barriers to offshore wind in Australia

17 October 2024

The Australian Energy Market Commission (AEMC) has identified opportunities to address gaps in the regulatory framework that could impede the delivery of offshore electricity infrastructure.

The findings are detailed in the final report of a high-level analysis of the national electricity rules (NER) to proactively understand the challenges and potential solutions to accommodating the industry in Australian waters.

Offshore wind is already well-established in the European Union and China, with the International Energy Agency forecasting its global capacity will reach 212 GW by 2030. 

Australia’s windy coastline makes it an ideal candidate and the federal government has declared five offshore wind areas in waters off Victoria, New South Wales and Western Australia.

The AEMC examined how well the NER covers network connection and planning, power system security, and network economic regulation for offshore electricity infrastructure.

The final report suggests that while it is both feasible and preferential to accommodate these critical issues within the existing framework, there are gaps in the NER and little clarity on how jurisdiction specific schemes (i.e. renewable energy zones) might apply in Commonwealth waters. This results in barriers for industry to fund, construct and commission offshore energy projects.

AEMC Chair Anna Collyer said the future focused report highlights the need for regulatory changes to enable the industry.

“We want to support jurisdictions as they undertake the crucial policy development work to make Australia’s offshore wind ambitions a reality,” Ms Collyer said. 

“This includes identifying opportunities to harmonise onshore and offshore regulatory arrangements to provide a consistent national framework that the market is familiar with. 

“We have also highlighted areas where departures from the national framework may be warranted.”  

The report is intended as a preliminary step towards building a shared understanding of some of the unique challenges posed by offshore electricity infrastructure.

The AEMC will continue to consult with jurisdictions and industry about potential next steps.

The full report, "Offshore electricity infrastructure", is available on the AEMC website here

Media:  Jessica Rich, 0459 918 964, media@aemc.gov.au

AEMC explores pathways for Australia's net zero energy future

17 October 2024

The Australian Energy Market Commission (AEMC) has unveiled its inaugural report "A Consumer-Focused Net Zero Energy System," offering insights into potential pathways for Australia's energy transition through to 2050 and beyond.

The report serves as a strategic guide for the AEMC in prioritising its work program within the broader context of the energy transition. As the body responsible for making and amending rules for the National Energy Market, the AEMC aims to provide stakeholders with clarity on how we are thinking about the energy transition.   

The report identifies key challenges and opportunities the AEMC considers will influence the future of Australia's energy landscape, including the need for a dramatic expansion of the energy workforce and significant infrastructure development.  

It also considers the importance of working towards more equitable energy outcomes across all segments of society while supporting the transition to a low-emissions future.

AEMC Chair Anna Collyer emphasised the AEMC’s unique role in examining the complex energy transition landscape.  

"The energy sector in Australia is experiencing unprecedented change, the success of which is critical for consumers and all sectors of the economy. This report aims to contribute to the ongoing dialogue by identifying areas that require our attention as we navigate towards a consumer-focused net zero energy system," Ms Collyer said.

The report explores a vision for the future where Australia's power system is low-cost, low-emissions, reliable, secure, and safe. This vision aims to support national prosperity while giving consumers confidence in the face of climate change.  

To achieve these important outcomes, the AEMC has identified eight critical challenges and opportunities that will require ongoing attention from policymakers, regulators, and stakeholders.

These challenges range from achieving equitable energy outcomes across households to maintaining system security and reliability through unprecedented change.  Notably, the report emphasises the critical importance of building and maintaining social trust to facilitate the required changes.

The report also highlights the need for coordinating energy policy with other areas of policy, attracting necessary resources, and planning for the transition of gas.

To address these challenges, the AEMC has defined four key focus areas to guide its future work program:

  1. Understanding consumer behaviors and preferences
  2. Fostering rapid electrification of vehicles
  3. Considering the regulatory framework for gas
  4. Understanding the impact of a changing climate on the energy system

Ms Collyer emphasised the collaborative nature of the energy transition.  

"This report reflects our commitment to supporting the transformation of Australia's energy system as it decarbonises. We look forward to working with the broad range of stakeholders involved in Australia's energy transition as we collectively work towards these goals," Ms Collyer said.  

The report aligns with and complements key industry and government initiatives, including the Energy and Climate Change Ministers’ Electricity and Energy Sector Plan, AEMO’s Integrated System Plan, AER's Game Changer Reforms and consumer protection work, as well as various jurisdictional energy roadmaps.  

This alignment ensures a coordinated approach to addressing the complex challenges of the energy transition. 

The full report, "A Consumer-Focused Net Zero Energy System", is available on the AEMC website here

Media: Jessica Rich, 0459 918 964, media@aemc.gov.au 

Extension on draft decision for new rules to better integrate distributed energy resources

12 November 2020

The Australian Energy Market Commission (AEMC) has today announced it will extend the time that it will take to publish a draft determination on proposals to better integrate distributed energy resources into the electricity system.

The rule change requests were proposed by SA Power Networks, St Vincent de Paul Society Victoria and the Australian Council of Social Services jointly with the Total Environment Centre.

There has been strong interest in the proposals and the extension will allow us to continue working with stakeholders on how the regulatory framework can be updated to support the integration of distributed energy resources in a way that benefits all customers. 

The draft determination will now be published 25 March 2021.

We have also consolidated the three rule change requests so they will be considered together as they deal with similar issues.

Distributed energy resources (DER) include rooftop solar, batteries, electric vehicles and energy management systems. These resources are often located on the consumer’s side of the meter, rather than as a centralised generation source, and are growing in Australia as consumers become more active in the power system.

“Finding solutions to enable the grid of the future is a priority for us,” AEMC chief executive Benn Barr said.

“We want to see a gateway to an expansion of solar and other distributed technologies that also ensures that everyone reaps the benefits of innovation.

“Australian consumers are clearly enthusiastic adopters of distributed energy resources such as solar. As distributed resources continue to grow, the time has come to integrate them properly and in a way that ensures all users benefit from their uptake and that the appropriate consumer safeguards are in place.” 

“It is very important to get this right and planning ahead will avoid technical problems, keep costs down and speed up the decarbonisation of the energy sector.”

Background

The rule change requests were received in early July 2020.

They were a result of detailed work undertaken over nine months by a broad collaboration of stakeholders seeking to address consumer-driven power system change through the Distributed Energy Integration Program. 

The rule change requests are aimed at better facilitating the efficient integration of DER for the grid of the future. 

The proposed changes include:

  • Pricing and incentive arrangements for distributed energy resources.
  • Allowing distribution network service providers to charge for exports to the network.
  • Planning and access to the grid for DER.

The AEMC published a consultation paper on 30 July 2020 seeking stakeholder feedback.

We also held a public webinar on 13 August 2020. We received numerous submissions in response to the consultation paper and held four technical working group meetings to discuss the issues raised in the proposals with a broad range of industry experts. 

A link to a consumer FAQ document is here

Media: Kellie Bisset, Media and Content Manager M: 0438 490041 T: (02) 8296 7813
 

New energy rules boost options for remote communities

28 May 2020

Eligible customers in remote areas will be able to access off-grid energy from their electricity network without losing their consumer protections, retail deals or reliability under new rules devised by the AEMC.

Homes and businesses in bushfire, cyclone or flood-prone areas and weak parts of the grid will also benefit under the rules announced today.

This major national reform means that energy distribution businesses can take advantage of improved renewable technologies to choose stand-alone power systems when it’s cheaper than using poles and wires to supply their customers via the grid.

“We’re making sure the energy rules keep pace with technologies that allow better energy options, give people at the edge of the grid a more reliable service, help lower emissions and bring whole-of-system costs down,” said AEMC Chair John Pierce.

“Stand-alone power systems, which are usually a combination of solar, batteries and a back-up generator, are getting cheaper and more sophisticated. In contrast, supplying customers using poles and wires in remote areas can be very costly.

“Network costs can increase further when there are issues with poor access and managing vegetation, or the need to use more expensive equipment (such as insulated overhead conductors or underground cable) to manage things like bushfire risk.

“Stand-alone systems give electricity networks more options – and that’s good for customers.”

While the total number of customers eligible for stand-alone power systems will be relatively small, the cost savings to networks will be relatively large, because getting power to this group is disproportionately expensive.

Changing the rules will bring costs down across the board because network costs make up around half of the average electricity bill. Importantly, checks and balances will still be in place, so customers are not disadvantaged.

These include making sure customers can still access competitive energy retail deals and that they have the same consumer protections, such as access to hardship provisions and ombudsman dispute resolution.

“Until now, there has been no national approach to stand-alone power systems, which have largely come under different state and territory legislation,” Mr Pierce said.

States and territories will still need to adapt their regulations so the new rules can operate but it’s possible some of this work could be done in parallel.

While the rules announced today apply to stand-alone power systems led by distribution network businesses, the AEMC has also produced recommendations on how to regulate stand-alone systems run by non-distribution network businesses.

Examples include local councils, community groups, developers and other third parties. These recommendations have been sent to the COAG Energy Council for consideration.

Media: Kellie Bisset, Media and Content Manager M: 0438 490041 (02) 8296 7813

AEMC submission to Climate Change Authority process to update its advice on Paris commitments

29 August 2019

The AEMC has made a submission to the Climate Change Authority (CCA) consultation process to update its advice on meeting Australia’s Paris agreement commitments. 

The Climate Change Authority advice will provide recommendations to help position Australia to meet its 2030 emissions reduction target in line with the CCA’s objective to put Australia on a path to net zero emissions, consistent with the Paris Agreement framework.

The way the physical world changes as a result of climate change (adaptation risk) and the way policy makers, consumers and investors respond to the risks presented by climate change (mitigation risk) has a material impact on the electricity and gas sectors.

Our submission outlines how the AEMC considers climate change risks when making rules and providing advice that will serve energy consumers over the long term.

It links to the AEMC’s updated stakeholder guide on applying the national energy objectives. The guide underpins our work with stakeholders to clearly identify the direct and indirect impacts of rule requests and reviews before making a decision. 

Media: Prudence Anderson, Communication Director, 0404 821 935 or (02) 8296 7817

Fine-tuning arrangements for paying emergency compensation

04 April 2019

The AEMC today initiated work on a rule request from AEMO to improve the arrangements under which compensation is paid to market participants when AEMO intervenes to maintain security and reliability.

At present, a $5,000 threshold applies per trading interval, which currently limits the amount of compensation payable to directed and affected participants when AEMO intervenes in the market to maintain security and reliability. AEMO proposes that this threshold should instead apply per intervention event, rather than per trading interval. 

AEMO is proposing this on the basis that the current approach creates a risk that participants will be out of pocket if the amount of compensation owed to them does not exceed the threshold in a given trading interval.  This is particularly the case where intervention events are lengthy (comprising many trading intervals). The application of the threshold in its current form could result in participants incurring loss.

This rule request is being progressed as part of the AEMC’s investigation into intervention mechanisms and system strength in the NEM. Further information on this can be found here.

Media: Prudence Anderson, Communication Director, 0404 821 935 or (02) 8296 7817

Modelling of a Clean Energy Target mechanism

07 August 2017

The governments of South Australia, Queensland, Victoria and the Australian Capital Territory have tasked the AEMC with developing design options for a Clean Energy Target (CET).

The Commission will test a range of CET designs. In particular we will examine the ability of different schemes to achieve energy and emission reduction policy objectives in the face of changing and uncertain future consumer demand; input prices and technology costs.

A final report is due by October 2017.

Background

In October 2016 COAG energy ministers agreed to an independent review of the national electricity market to take stock of its current security and reliability and to provide advice to governments on a coordinated, national reform blueprint.

The Independent Review into the Future Security of the National Electricity Market’s final report was presented to the COAG leaders’ meeting in June 2017. It recommended a Clean Energy Target as the most credible and durable mechanism for driving clean energy investments to support a reliable electricity supply.

The governments of South Australia, Queensland, Victoria and the Australian Capital Territory have subsequently requested that the AEMC investigate a number of design issues and options for a CET, including differing emissions reduction trajectories, interaction with the existing Renewable Energy Target and the adaptability of the mechanism over time.

The AEMC’s advice will take into account the potential impact of a CET on the liquidity of wholesale markets and the supply and demand balance. It will also consider whether appropriate frameworks and incentives are in place for network investment, and investment in energy storage and other newer technologies.

 

For further information, contact:

Communications Director, Prudence Anderson, 02 8296 7800

 

Australian Energy Week Conference 2017 – Speech by AEMC Chief Executive

21 June 2017

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Anne Pearson, Chief Executive, Australian Energy Market Commission Australian Energy Week, 21 June 2017, Melbourne

Introduction

Imagine a world without electricity. That is the line that stuck out for me when I was reading Dr Finkel’s blueprint a couple of weeks ago. And I’ve been trying to imagine it ever since.

I have lived in country where the electricity supply was neither secure nor reliable – the country was in the middle of a brutal civil war. Cutting off electricity supply was a deliberate strategy to wear people down. No power for lighting, elevators, television – nothing at all…and for weeks at a time. But that was Lebanon. And it was 30 years ago.

Trying to imagine the lives of most of us here in Australia today without electricity is harder. Without energy, what would my household be like most evenings? We use electricity and gas for cooking, heating, powering computers, charging iphones and the almighty ipad for essential viewing of the Octonauts and Charlie and Lola.

Electricity (and energy more broadly) plays a key role in the lives of every single Australian. Not just a “nice to have” role – it is essential. Other services – like health, education and banking – cannot exist without energy. Australian businesses depend on energy. In fact, secure, reliable supplies of energy distinguish the first world from the third. It underpins our lifestyles and drives our economy.

This is why it’s so important to have an energy sector that is resilient. And one that delivers what households and businesses want now, and in the future.

Which is a good Segway to my presentation topic for today: “are market mechanisms adequate to facilitate change” – specifically, can markets facilitate the transition to a lower carbon energy system.

The answer is yes….with a twist. But let me unpack that a bit.

Can markets facilitate change?

The changes we are seeing in the energy sector today seem big, but change in the sector is not new. In fact it’s one of the few constants. There is a lot going on in energy – a lot going on in the world.

A decade ago Australia’s population was nearly 20 million. Now it’s 24. The first smartphone was unveiled. Now there are 16 million in Australia alone.

In the NEM 10 years ago there were around 300 generators. Now there are 1.6 million. It cost about ten thousand dollars to put a PV system on your roof. Now you can buy one on your credit card.

2 Some changes have been slower and predictable. Others have not. But change across the economy and in the energy sector is continuous. It’s part of the human condition – to develop, improve, progress. As Benjamin Franklin, one of the American Founding Fathers said, “When you’re finished changing…you’re finished”.

We are never going to be able to predict exactly the types of technology that will “make it”, or how households and businesses will want their energy made, packaged and delivered. We can’t know exactly how consumer behaviour and new technology will impact the energy market. And that is okay.

But this element of uncertainty is why markets are so important.

It’s interesting…people often speak about the “market” like an intangible object that is separate somehow from the people that participate in or benefit from it. But the energy market is actually just a process that allows consumers to choose what they want, and a way of interacting with energy businesses, to get it.

When they are allowed to function correctly – markets deliver a whole range of information about what is needed, and the tools to deliver it. It’s “the market” that will invest to deliver the transition to a lower carbon energy system, and a lower carbon economy more generally.

In the absence of markets, we leave all the decisions to a small group of central planners. We let them decide what, and where to build generators and networks and we let them decide the types of energy services we receive.

Without a market, we also place all the risks (and the costs of any mistakes) on energy consumers or tax payers. Either way, it’s households and businesses that pay. And at the Commission we think that it’s better to avoid this. To use an example from another sector to illustrate the point: Remember the videotape format war of the 80s Beta versus VHS? Since then we have had Blu Ray, DVD, digital TV and who knows what’s next?! Think of the risk taken-on by investors in these technologies! And think of the taxpayer money saved by not subsidising any of them!

How the Commission shepherds change in the consumer interest

So what is our role at the Commission in facilitating this change to a lower carbon energy system? Put simply, we are here to keep regulatory frameworks up to date so that energy markets can evolve in a way that delivers the best outcomes for customers, over the long term. When we amend the rules and provide advice to governments we stick to a few key principles:

  • Supporting effective consumer choice - so consumers can decide when the value of using energy is greater than the cost of producing it;
  • Promoting competition where possible and well-designed regulation where it is not;
  • Creating signals to drive efficient investment;
  • Acknowledging uncertainty so that instead of making things happen, we create an environment to let things happen if they deliver the best outcomes.

Benefits our market has delivered

So how have these principles helped the market develop so far?

Before the NEM was established, governments were in charge of building enough generators to meet consumer demand. Had these arrangements continued, we would have seen the equivalent of two new Eraring-sized power stations built over the decade. That’s 6000-odd megawatts of generation sitting idle because forecast consumer demand never eventuated.

Instead, the market was introduced, and price signals from the spot and contracts markets drove just enough new generation investment where consumers wanted or needed it. As demand flattened in the early 2000’s, price signals would have slowed generation investment had it not been for various government schemes that supported specific technologies.

On the retail side of things, markets have created choices that would not have existed in a centrally planned system. New retailers, products and services, using an increasingly wide range of technologies, are appearing in the market because of two waves of reforms.

The first was the structural reform of the industry in the late 1990s where the vertically integrated industry was disaggregated and the competitive wholesale and retail markets were formed.

The second wave, was a set of foundations we laid in the energy market rules to drive innovation and consumer choice.

I’m talking about rules that have made it easier:

  • choose and switch retailers
  • access and understand consumption data and
  • receive and respond to price signals

I’ll give you a few examples:

  • If you’ve got a solar/battery set-up you can find retailers that will use your energy use and generation patterns to optimise your system in line with wholesale price signals.
  • If you have a swimming pool you can find a bundled offer for electricity, pool equipment and services, that automatically cleans your pool when electricity is cheapest.
  • There are retailers that will use your consumption data to find the best retail offer out there, and automatically switch you when savings are available.
  • If you’re a real energy junkie, you can sign up with a retailer that gives you real-time usage information so you can turn appliances on and off remotely from your smart phone.

Most Australian consumers can get all this and do all this because we have an energy market that puts them in the driver seat if that’s what they want.

By carving up the supply chain to encourage competitive generation and retail sectors, we are saying to energy businesses “consumers are paramount, go and fight for them”.

By regulating monopoly assets we’re saying – “be as efficient as possible so consumers can use you, but must not pay more than necessary for the privilege”.

By putting governments in charge of policy, but giving the rule making, system operation and regulatory functions to separate bodies, we’re saying “this sector needs to be able to adjust continuously and predictably, so here are some specialist agencies to make it happen”

By giving everyone – industry, consumers and governments alike – the ability to suggest and help design new rules, we’re saying “you all need to play your part to make this work, now and in the future.”

Markets shortcomings and overcoming them with careful use of regulation and good governance

But at the Commission we don’t just blindly accept markets. We support them when the evidence shows they deliver the best outcomes for consumers. And we make tweaks when they don’t.

Markets tend to offer the most efficient and lowest cost way of discovering what technologies and services work best for consumers, and shepherding change in that direction.

But we acknowledge that markets suffer when there is information failure, inadequate competition, or other factors that distort price and other important signals. There are a range of tools we can and do use to overcome these without wading in boots and all and taking over:

  • Information and reporting requirements can even-out the playing field and increase transparency.
  • Facilitating negotiations and interactions between participants to minimise the likelihood of disputes and stalemates
  • Also, Short term regulatory obligations can be used as a stepping stone to transition to market mechanisms in time.

You would have seen these mechanisms (and more) applied in our work at the Commission. For example:

  • We are making more information available on the gas bulletin board – and making that information easier to access and interpret.
  • We have introduced an independent expert into the transmission connections process, who will help solve issues between parties before they escalate.
  • In our system security work we are looking at regulating the level of inertia to maintain the stability of the power system in the short term until new services develop over time and the market can take over.

However, each time we use one of these regulatory tools, we have to think “how much extra cost, and how much extra risk will consumers have to bear as a result of this?”.

That’s the key trade-off: we could regulate everything, but it would be more expensive and it would stifle innovation……We could regulate nothing, and consumers would be completely exposed. So we have to strike a balance.

Going back to the original question – can markets deliver change? Yes. Markets are a low cost way of shepherding change while encouraging innovation. Are they perfect? No. So we use regulation when the market – for whatever reason – is not delivering outcomes that benefit consumers.

We have been doing that since energy markets started in Australia (and indeed regulation is used in similar ways to support many other markets).

Decision making processes

The question then becomes less about whether markets can deliver the necessary transition, and more about whether our market structure – which includes the decision making and governance processes – can deliver it.

Based on my experience to date, my answer is also yes.

Just as we have overcome technical and geographical challenges in the past, we are confident that the processes and decision-making responsibilities set out in our market structure will support the transition underway right now. But it relies on each of us playing our role and sticking to it.

Governments set the policy parameters. This is a critical function that they must do. Given the essential role that energy plays in our economy more generally, it is no surprise that the “energy experience” is, and must be, affected by things that sit outside the energy market rules, and outside the energy portfolio. And governments are in the hot seat when it comes to making these cross-portfolio trade-offs. It is their job, and they are best placed to do that.

Using energy market design to help deliver other objectives.

Over time we have seen how other policy objectives have affected how households and businesses get, use and pay for energy. In the past it has been social policy, and environmental planning. Right now it is emission reductions.

The way in which these external objectives are pursued, has implications for how effectively the energy market can work in the long term interests of consumers. As our markets have become more sophisticated, it is more critical than ever to think about how external objectives will impact energy markets.

That’s not to say external objectives should not be pursued. It is about how they are pursued. Let me unpack that it a bit.

  • If the instruments used to achieve social or environmental objectives are compatible with the way energy is bought and sold, the market can continue to deliver secure reliable energy at lowest cost.
  • If the risks of investing to meet that social or environmental objective are allocated to the parties most able to manage those risks, then customers won’t have to pay for other people’s mistakes.
  • If policy mechanisms used to meet these other objectives don’t depend on a single version of the future, then the energy market will find the best and lowest cost way to meet it, and meet consumer needs as well.

We call this “integration”: Using the fundamental elements of the energy market to help deliver other, clearly articulated objectives.

At the Commission, we consider that the market processes of experimentation and discovery can support the lowest cost transition of the energy sector even while pursuing other external objectives.

Working together to support the transition

It’s clear however that the challenges we are facing right now are complex. They are interconnected. Some of them are urgent. And some serious coordination across governments and energy institutions is needed to support the transition.

There is an expectation that regulatory frameworks will respond to change in a more timely manner. The three market bodies – the Commission, the Regulator and the Operator – are keenly aware of this. We have always worked together to deliver the reforms customers want and expect. But we recognise the need to do this better.

And so we’ve set up a formal structure for sharing information, identifying issues and coordinating responses to actions in relation to priority energy matters. Collectively we will be able to provide a whole-of-sector perspective, and enhance the quality of advice going to the COAG Energy Council.

We need your help.

But market bodies and governments are not the only ones with responsibilities. In Australia, we have a unique governance framework that provides a role for market participants, consumers and all other interested parties. Having moved away from the allknowing central planner model, you all play a role in helping our markets evolve to benefit consumers.

When the Commission was first established, we used to get a handful of rule change request each year and we’d work with an equally small number of stakeholders to make them.

We’ve now made more than 220 new rules, we have hundreds of stakeholders, and it is a consumer – not a government or market body – that has suggested one of the biggest changes we have considered in many years – a move to 5 minute settlement of the spot market.

On the practical side, the Operator is continually adapting the way they run the system to accommodate new technologies, incorporate new information and deliver the actual changes in the system that are contemplated by the regulatory changes.

The Regulator has had its role expanded over the years to correspond to the increasing engagement from consumers. They have taken on consumer protections, monitoring of the wholesale market and new responsibilities when it comes to network regulation.

None of this has been easy or straight forward. And nor should it be.

Conclusion

In conclusion my mind turns again to another American – I have just returned from the US! In relation to going to the moon President John F Kennedy said: “we do these things not because they are easy, but because they are hard. Because the challenge is one we are willing to accept. One we are unwilling to postpone.”

I’m not suggesting we are going to the moon, but this quote is appropriate for many challenges. Change, transition, disruption - whatever word you want to use for it - will continue in the energy sector. Adapting the formal arrangements to keep up with the change is sometimes complex, its technical. It’s certainly interesting.

There are nine different governments, a good number of institutions, and many more stakeholders all trying to deliver the best outcomes for customers – and all with a different opinion of how to do it.We could go back to a more centralised model, allowing decisions to be made by a select few, with the rest of us just accepting our fate. It might be easier….

But the easy way out will not deliver the best outcomes for consumers, especially in the longer term. So, like JFK so aptly said: we don’t do things because they are easy.

We do them because energy is fundamental to our economy, to essential services, to jobs, businesses, households…to people’s lives. It’s worth making the effort…taking the harder path.

That’s what I think about every day. It’s what our 85 staff at the Commission think about.

It’s why we are intent on working with all of you to shepherd change through energy markets. To deliver the best possible outcomes for consumers, no matter what the future is.

Towards the next generation - AEMC and CCA release new report on energy

02 June 2017

The Australian Energy Market Commission (AEMC) and the Climate Change Authority today released a new report on solutions for affordable, secure and lower emissions energy.

The joint advice released today was requested by the Commonwealth Minister for the Environment and Energy to provide advice on policies to enhance power system security and to reduce electricity prices consistent with achieving Australia’s emission reduction targets in the Paris agreement.

Dr Wendy Craik AM, the Authority Chair, said: ‘Energy and emissions reduction policies have been largely pursued as separate agendas.

“The advice in this report is geared towards the better integration of energy and emissions reduction policies, to provide greater investment certainty and in doing so, help keep electricity prices as low as possible while enhancing power system security.

“Uncertainty has a price.  New analysis done for this report by The Centre for International Economics found that current wholesale electricity prices are above long-run costs by around $27 to $40 per megawatt hour (MWh).  Electricity prices could be lower than they would be otherwise if credible and durable policy is put in place to reduce emissions in the electricity sector,” Dr Craik said

The AEMC and the Authority are of the view that an Emissions Intensity Scheme (EIS) is the preferred policy mechanism for the electricity generation sector, consistent with the options they analysed in previous reports. 

AEMC Chairman, John Pierce, said today the joint advice drew on existing analysis and independent modelling. It is consistent with previous advice from both the Commission and the Authority.

“Government policy certainty is needed to generate the investment required to transform the sector. Well integrated emissions and energy policy that can adapt to change and support the means of exchange and risk allocation is likely to be more stable into the future,” Mr Pierce said.

The Authority considers many different policies or policy sets can help to reduce emissions although their impacts on electricity prices and power security will vary depending on their nature and design features.  

The Authority also thinks that good design and implementation are as important as policy choice if measures are to meet the three objectives of affordability, security and emissions reductions.

The Authority has recommended a Low Emissions Target (LET) be considered as an alternative policy given that the EIS has been ruled out by the Commonwealth Government.  The Authority believes that a LET could support a wide range of technologies including gas and carbon capture and storage (CCS).

The AEMC has not conducted any quantitative analysis of a LET-type emissions reduction policy mechanism and how it compares to an EIS. Without such analysis it is not possible for the Commission to assess the impact of such a policy mechanism on the electricity market, and specifically its impact on prices and system security.

In addition to the recommendation on the EIS, the Authority and the AEMC also support the ongoing reforms of the east coast gas markets, agreed by the COAG Energy Council, and the continued development of a competitive energy services market as important elements of delivering affordable, secure and lower emissions energy.

The Government has said that this report will serve as an input into the Independent Review into the Future Security of the National Electricity Market being led by Professor Alan Finkel.  The Finkel review will inform the Government’s 2017 review into climate policies.

About the AEMC and the CCA

The AEMC is an inter-jurisdictional body with many functions and responsibilities in the Australian electricity and gas markets. The Authority is a Commonwealth agency established to provide advice on emissions reduction policy.

 

Media contact:

Climate Change Authority – Aileen Muldoon 0419 112 503

AEMC – Prudence Anderson 0404 821 935

Joint advice on power system security, electricity prices and emission reductions

19 April 2017

The Minister for the Environment and Energy has asked the Australian Energy Market Commission (AEMC) to provide advice on policies to enhance power system security and to reduce electricity prices consistent with achieving Australia’s emission reduction targets in the Paris Agreement.  
 
The review will be done jointly with the Climate Change Authority (Authority) and is due for completion by 1 June 2017.
 
The Authority and the AEMC note there has been significant consultation on matters covered by this current special review, most recently through the Authority’s special review on Australia’s climate goals and policies (which covered policies for electricity generation and concluded in 2016), and for the Independent Review into the Future Security of the National Electricity Market (the Finkel Review). The submissions to these review processes are generally accessible and in the public domain. 
 
As key consultation inputs to the review and in the interests of efficiency, the Authority and the AEMC will draw on submissions made to the Independent Review into the Future Security of the National Electricity Market, and relevant previous submissions to the Authority’s Special Review on climate goals and policies.  The AEMC’s ongoing consultation and analysis in relation to the System security market frameworks review will also be utilised.
 
The AEMC would welcome new or revised submissions from interested organisations or individuals on matters relevant to the current special review on electricity policy until 4 May 2017
 
Submissions can be lodged via email to submissions@climatechangeauthority.gov.au or via post to Submissions, Climate Change Authority, GPO Box 787, Canberra ACT 2600.  Submissions will be made immediately available to the AEMC.
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