Market Development

News Topic ID
18

Submissions invited on a market mechanism for inertia

05 September 2017

The Australian Energy Market Commission today published a consultation paper seeking stakeholder feedback on a proposed approach for introducing a market mechanism for inertia. This mechanism is being considered through a rule change request from AGL for an inertia ancillary services market.

The changing generation mix, with a higher share of wind and solar, means the power system has less inertia. Less system inertia means frequency may become volatile. If frequency changes too fast then the system is at high risk of going black.

Today’s paper builds on our recent draft rule to place an obligation on Transmission Network Service Providers to procure the minimum levels of inertia, or alternative frequency control services, needed to maintain system security  in all regions of the national electricity market.

While this draft rule provides for a minimum level of inertia, the AEMC considers that the introduction of a market to obtain and pay for inertia above this minimum level would provide additional benefits. For example, additional inertia could allow for higher interconnector flows between regions, which could improve reliability and reduce overall costs.

The introduction of a market based mechanism to realise the benefits of inertia was one of the key recommendations in our final report on the System security market frameworks review, published in July 2017. A market-based mechanism would offer an open and transparent approach that would best facilitate competition in the provision of inertia. It would also be flexible in that it would allow the level of the service to vary over time to adapt to changing market conditions.

The mechanism outlined in our consultation paper features an inertia price paid to inertia providers based on the value they provide in relieving rate of change of frequency (RoCoF) constraints between regions.

Stakeholders are encouraged to provide input on the proposed mechanism, including the various funding options for paying providers of inertia. Submissions are due by Tuesday 3 October 2017.


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

Explainer of technical terms

What is the rate of change of frequency (RoCoF)?

The rate at which the frequency changes determines the amount of time that is available to arrest the decline or increase in frequency before it moves outside of the permitted operating bounds.

AEMO may constrain the power system to reduce the size of a potential contingency and minimise the resulting initial frequency change. Alternatively, an increase in the level of inertia in the power system would permit the occurrence of larger contingencies for a given level of initial RoCoF.

Australian Energy Week Conference 2017 – Speech by AEMC Chief Executive

21 June 2017

Download PDF version

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 Smart Regulation

28 May 2015

Speech by Chairman John Pierce at World Forum on Energy Regulation

Towards Smart Regulation: Efficient market outcomes in periods of transition

28 May 2015

DOWNLOAD PDF VERSION

Good morning and thank you for inviting me to speak with such a distinguished panel on such a topical topic.

Smart Regulation may be interpreted as referring to good regulatory practice or more specifically, regulatory practice in the context of the smart grids and the technological developments that are revolutionising the energy sector.

At the risk of spreading myself too thin I will refer to key aspects of both, but as I hope you will see, they are related.

Of course whether any particular set of regulatory arrangements can be considered “smart” or not depends on both its objective and the context within which it is being applied.

In the provision of advice to governments on market and regulatory development, and when making the statutory rules that govern the sector, the Australian Energy Market Commission is bound by an explicit, focussed objective function:

To make decisions that are or are likely to be in the long term interest of consumers with respect to a defined set of parameters that we would all recognise as the traditional concerns of energy policy - price, reliability, safety, security of supply and the like.

Note that the term “consumers” is taken to refer to end users in general. We are not in the business of trading off the interests on one group of consumers against another.

2 And beyond being concerned with the efficiency of price levels and structures, affordability objectives of governments are handled by income policy instruments rather than through energy prices.

Environmental policy objectives and implementation are likewise handled by other arms of government. However with respect to those that have systemic effects on the energy sector, such as climate change policies I would suggest that while government can specify its objectives or outcomes - say an emissions target for the sector - energy market institutions are in the best position to design the means or instruments used to achieve them in a manner compatible with the mechanisms and means of exchange of energy markets.

For the mathematically minded, I would describe what we do as maximising an objective function subject to specified constraints. As far as possible we like to avoid giving institutions multiple objectives that require regulators and officials to “balance” things or trade objectives off against one other. This can only be done via subjective value judgements, and that’s what we pay politicians for and the political process as distinct from regulation, is designed to reveal.

The Australian National Electricity Market has the following characteristics:

  • A transparent and competitive energy only wholesale market with “over the counter” and exchange traded derivatives contracts;
  • A highly competitive retail sector, such that for most consumers retail price regulation has been removed; and
  • An ex-ante incentive based regulatory framework for the transmission and distribution network sector.

The outcomes experienced by consumers have been influenced not only by these three factors, but also by non-price, consumer protection regulations; network reliability standards; the service offerings of retailers, and the impact of government policies that are implemented outside of the energy market governance arrangements such as the Federal Government’s Renewable Energy Target and, at least in the past, state government feed-in-tariffs for residential solar panels.

We have been on a fairly consistent reform path over the past 25 years or so, as part of a broader microeconomic and competition policy reform agenda.

It started with widespread recognition of the relationship between productivity growth and the potential growth in economic output, and the contribution that domestic stationary energy made to that objective.

Within this part of the economy it commenced with a competitive generation sector which then supported development of a competitive retail sector.

More recently it has focussed on capturing the value of demand side participation and embracing a consumer driven transformation of energy 3 service. It will be the options available to consumers enabled by technology and the choices they make that drives the way the energy sector develops. This is challenging traditional business models, the way we divide the energy services supply chain into its components and hence where we draw the line between what needs to be regulated and what does not.

Demand for electricity traded on our National Electricity Market has fallen for each of the last three years and an average 1.7 per cent in the past five years. This underlying trend is projected to continue and is largely explained by a combination of three factors:

Solar PV –

Around 1.3 million households have installed solar PV systems (of around 9 million households).

Total installed capacity reached more than 4000 MW in 2015, equivalent to around 7.5 per cent of total installed generation capacity in the National Electricity Market. That’s a big change when you consider Australia had virtually zero PV capacity as recently as 2010.

Changing structure of the Australian economy –

This is part of a long term trend with average annual energy growth rates falling in every decade since the 1960’s. It was 9 per cent in the 1960s, 7 per cent in the 1970s, 5 per cent in the 1980s, 3 per cent in the 1990s, 2 per cent in the 2000s and, perhaps inevitably, negative in most years since 2010.

There are 120,000 fewer Australians employed in the manufacturing sector than there were 10 years ago, and its contribution to total Australian output is less than half what it was four decades ago.

Energy efficiency –

The Australian Energy Market Operator estimated total energy savings of around 10 per cent annually over the next three years, due to more energy efficient air conditioning, refrigeration and electronics.

As a result, it is expected that no additional electricity generation capacity will be required in our National Electricity Market for the next decade.

Despite this, almost 1200 megawatts of wind capacity has been added in the past two years and around 650 megawatts of committed projects remained committed at July 2014. You might ask what’s driving supply, if not demand: It is driven largely by Australia’s Renewable Energy Target, which has been the subject of much debate, with an awakening to the consequence of misaligned energy and environmental policy objectives.

I might come back to that a little later in our panel discussion.

Falling demand is matched in consequence by the increasingly sophisticated ability of consumers to actively participate in markets and the technological change that is supporting that participation.

So how are we most likely to achieve efficient market outcomes during this period of transition and change?

By having energy market and regulatory arrangements that are both flexible and resilient enough to respond, whatever the future may bring.

Flexible, responsive markets are characterised by market participants that have the information, tools and exposure to price signals which enable them to adjust. So that consumers, rather than regulators, are in a position to decide if the value to them of what they are being offered is greater than the costs to the system of providing it.

So what does that mean in practice?

Rapid advancements and widespread adoption of distributed generation, smart technologies and connected home products and services, as well as advances in storage are just a few of the game changers that allow consumers to decide for themselves what is in their own interests.

Retailers are evolving from managers of margins between wholesale and retail prices and volumes to suppliers of energy services and new energy service companies are entering the market.

The boundaries between what needs to be subject to economic regulation and where competition is viable are being re-drawn.

The energy regulator’s role then becomes to do no more than necessary to support the participation of individual consumers in energy markets.

And that’s really what Australia’s 2012 Power of Choice reform package is about. We’re about 3 years through this 5-year reform program.

My colleague Paul Smith, spoke in more detail about the Power of Choice reform package earlier this morning.

But briefly, the package includes:

Flexible cost reflective network pricing – Retailers and consumers cannot be expected to make efficient choices unless the revenues of network services are recovered via price structures that better reflect the cost consequences for networks of their individual decisions.

Breaking the monopoly on metering services –

5 A draft rule that the AEMC currently has out for consultation makes it clear we intend a market led approach to the deployment of new metering technologies. This means investment in metering services will be driven by consumers choosing products and services enabled by this technology that they value at a price they are willing to pay.

And we’ve been careful about the minimum specification of those meters because we don’t know where the technology will go in the future.

Giving consumers access to better consumption information –

And of course consumers need access to their data to figure out how these tools and pricing mechanisms can be of most benefit to them.

All of this has been designed as cohesive and integrated market wide reform program to increase demand side participation in our electricity market.

An important implication of this approach – “flexible markets which can respond to change” – is that regulators need not be wedded to one particular view of the future. We must be aware of and prepared for the changes in technology and business models that are on the horizon without placing bets on what will actually happen.

The AEMC has significantly increased the amount of time we dedicate to looking at emerging trends of significance to market development. We have new work-streams which are looking at:

  • How the consumer protection and regulatory environment needs to evolve to support the very different approach to energy retailing that is emerging – a range of new players, most with a very strong technology focus, are offering services similar to traditional retailers. We want consumer protection mechanisms that meet government policy objectives while not stifling innovation and choice.
  • How network businesses particularly may evolve into two way platforms for the flow of energy. As a first step we’re considering how storage may be integrated across the grid but that’s just part of a larger look at how network service provision may change over the next decades.

And of course, if we want to know where the energy market is going we need to better understand consumers themselves.

So I thought I’d finish briefly with a bit of a proposal.

The AEMC carries out an annual Retail Competition Review – which assesses the state of competition in retail energy markets across Australia.

Our colleagues in New Zealand carry out a similar piece of work but last year included a comparison of consumer activity and behaviour between New Zealand, Australia, Texas in the United States and Alberta in Canada.

Many of you would also carry out your own research and analysis.

And while we have some good international data on switching via the VaasaETT utility customer switching research project, I’d like us to consider what might be possible if more of us worked together on an international analysis of competition in energy markets that might cover a broader range of topics including aspects such as:

  • Barriers to retailers entering, expanding or exiting the market;
  • The degree of independent rivalry;
  • Customer satisfaction with market outcomes; and
  • Whether retail energy prices are consistent with a competitive market.

This would provide us with more insight into how markets are delivering benefits to consumers and in a more comprehensive and systemic way.

Many of us are facing similar challenges and the more we can learn from each other’s successes, the better.

ENDS

With or without you: the evolution of Australia’s energy market

07 May 2015

Speech by Chairman John Pierce at Energy Network Association Forum 'Energy Transformed' 2015

With or without you: the evolution of Australia’s energy market

7 May 2015

DOWNLOAD PDF VERSION

I’d like to start by acknowledging the traditional owners of the land on which we meet and pay my respects to their elders, both past and present.

Can I also thank John Bradley, CEO of the Energy Networks Association for inviting me to speak with you today.

Can I also acknowledge:

  • Rosemary Sinclair, CEO of newly founded Energy Consumers Australia;
  • Michelle Groves, CEO of the Australian Energy Regulator;
  • CEOs of industry here today – too many to mention individually which reflects very well on the organisation of this event.

We are now three years through a market-wide energy reform program – Power of Choice – which at its heart is about facilitating the development of a more resilient, responsive market for energy services.

One that can develop and adjust to whatever the future brings, in terms of factors such as: demand patterns and levels; consumer preferences and expectations for value added services, and reliability and quality of supply; changes in technology, such as in metering, load control, electric vehicles, distributed generation and storage; and the relative input prices of capital, labour and fuel sources.

2 One where price levels, structures and risk allocation from the consumer through to energy source – which are the links that tie the different elements of the service supply chain together, that impact on the long term interests of consumers and influence their behaviour – are consistent with one and other.

One that enables and rewards the sector for making a positive contribution to the economy’s long term growth potential via innovation and productivity growth.

It is important to keep in mind that structural adjustments implied by the sort of factors referred to above, far from being exceptional events, are the normal pattern underpinning economic growth. In fact it is an illusion to pursue the long term interest of consumers and at the same time pretend to keep the structure of our system of production and the businesses that make it up, stationary.

Of course the rule changes flowing from the Power of Choice review won’t, by themselves, lead to a resilient, responsive energy services market.

All of our market development reviews, advice to the COAG Council for Energy and rule change processes need to be aligned to this strategic intent.

Nor of course is the AEMC’s remit the sole influence on how the market evolves and its ability to respond to these drivers of structural adjustment in a manner consistent with the National Electricity Objective.

How you as individual businesses decide to respond, the strategies you pursue and priorities you set are obviously a critical determining factor. The title you have given to today’s discussions reveals you are well aware of this.

On a broader level you have probably heard me say before that the outcomes experienced by consumers – the ability of the market to meet this objective – is a function of three variables.

At this point I should apologise for my somewhat mathematical bent – I recently pointed out to a learner driver how overtaking involved using the calculus he was learning at school. I’m not sure that he found that particularly helpful.

But in this case the three variables impacting on consumers are:

  1. what is happening in the competitive generation and retail sectors,
  2. what is happening in the regulated network sector; and
  3. the means by which – the tools and instruments – that governments choose to intervene in the market in order to achieve their quite legitimate policy objectives in areas such as vulnerable consumers, emission levels and land use planning, which are usually developed outside of energy portfolios.

Government objectives in these areas are of course a given, however what we can and should do is point out how to design policy instruments that achieve these objectives that are also compatible with how the energy market operates.

But back to Power of Choice - these are important reforms.

And much of the heavy lifting involved in the Power of Choice reform program addresses issues with regulation of electricity networks – how distribution network prices are structured and the competitive framework for metering and metering services for example.

The latter being an example of how technology can open up opportunities for consumers, rather than regulators, to decide for themselves what services are of value to them, and in the process re-define what parts of the supply chain sit within the competitive as against the regulated sectors.

So I want to thank you all – including the Energy Networks Association – for helping us lay the foundations for lasting energy market reform for the road ahead.

In any challenging reform program it is worth reminding ourselves from time to time why we started down this path in the first place.

It is true that efficient markets are characterised by effective participation of both the supply and demand sides of the equation.

And clearly that is something the Commission, industry, consumer groups and governments have an interest in encouraging.

But the Power of Choice report was really a response to changes in the key drivers of how the sector develops that was started once the decision was made to establish the NEM as part of the overall Competition Policy reform package.

When I, and I suspect many of you, started working in this sector the main driver was the generation sector. That’s where all the action was. With the establishment of the NEM, and retail competition, that focus shifted to the retail sector and now – with or without us – the key driver of development is the consumer.

So how do the ‘bits’ of the Power of Choice reform fit together?

Connected, well thought through reform, often gets unpacked during implementation into its constituent parts and scattered to the point where you need an Allen key and Ikea instructions to get it back together.

The Power of Choice reforms are designed to fit together.

They will deliver better outcomes for consumers and set us up for long-term market efficiency and stability, but only if we stay the course on the key aspects of the reform package.

We can’t pick and choose the bits we like and bits we don’t without compromising the move to a consumer driven energy market, where consumer choice is what drives the way the market evolves.

The first piece of the puzzle is getting effective price signals to the consumer. That’s where the distribution network pricing rule change comes in – which will come into effect from 1 July 2017.

From that date, network prices will better reflect the cost of providing network services to individual consumers.

Even if the total costs and revenues of network services are at efficient levels, retailers and consumers cannot be expected to make efficient choices unless these revenues are recovered via price structures that better reflect the cost consequences for networks of their individual decisions.

This will allow consumers to make more informed choices – to see and access value in those choices – and that gives them a reason to participate in the market.

All energy ministers indicated their full support for the network pricing reforms in the most recent COAG Energy Council meeting in December last year:

“The Council supports tariff reform as an essential next step in this process as a means of providing better price signals to consumers and notes that new Distribution Network Pricing Arrangements will enable distribution businesses to set prices that reflect the efficient costs of providing network services to each consumer. This will allow consumers to make informed decisions about their electricity usage and help to deliver better signals for efficient investment in distribution network capacity.” - COAG Energy Council, December Communique

But it’s no good consumers having a reason to participate, if you don’t have the means to participate.

And to participate consumers need information and they need tools. Clearly competition in retail markets plays an important role here, as does government in supporting information campaigns.

So the second piece of the puzzle is improved consumer access to information about their energy consumption via a rule change that went through in November.

It allowed customers to obtain their electricity consumption data from their distributor as well as their retailer.

It allows other parties authorised by customers to request access to electricity consumption data from retailers and distributors.

And it provides minimum requirements for the format, time frames and costs involved when a customer requests their consumption data.

As well as information, consumers need tools, and that’s where the third piece of the puzzle - metering reform – is important.

And the metering work is really a ‘set-of-reforms’ – rule changes – which provide the necessary conditions for a competitive energy services market to develop.

These include a rule change to promote competition in metering and related services; an open access and common communication standards framework for smart meters; and arrangements to allow multiple trading relationships at the consumer’s connection point.

The competition in metering rule change really is the “key” to unlocking the full value and benefit of consumer participation in energy markets.

Like a mobile phone or a pay TV box, advanced meters are currently an important piece of the physical infrastructure that enables consumers to use a service they value.

It is a tool that can help consumers monitor, manage and adjust their electricity consumption and, importantly, capture the value of doing so, if they so choose. Opening up the metering space to competition will allow consumers to benefit from a wider range of energy services and demand-side products.

Tools to respond to time-of-use pricing, off-peak charging of electric vehicles, faster retailer switching and more efficient notification of system faults to network operators.

Our draft determination, as most of you will be aware, is out there for public consultation and we had a good discussion at the public forum here in Sydney last week.

The draft determination makes it clear we intend a market led approach, meaning investment in metering services will be driven by consumers choosing products and services they value at a price they are willing to pay.

Again, this is a reform which has been endorsed by energy ministers at the December COAG Energy Council meeting:

“The Council supports the push for competitive market-led rollouts of smart meters and the delivery of tangible benefits to consumers from new metering technology.” - COAG Energy Council, December Communique

The metering reforms mean investment, innovation and technological development will be responding to consumer preferences, rather than a regulator’s preferences.

Meters, of course, are not the only tool consumers need for competition to thrive.

Consumers also need tools to help them shop around for the best deal. Just as importantly, they need to know about the tools available to them.

And while there are useful comparison sites available to consumers, our research, including that conducted for our annual Retail Competition Review, clearly shows that most consumers don’t know about them.

Our last survey found that only 1 per cent of consumers could identify their jurisdiction’s independent comparison website unprompted. That went up to 29 per cent in Victoria when prompted (lower in other states) but that is still a very low number.

That’s why we’ve recommended a range of initiatives to increase consumer awareness of the choices available to them.

These included improvements to comparison websites and tools, targeted information campaigns to consumers with difficulty accessing online information such as those who do not speak English, and a mass market media campaign.

Giving consumers the tools, information and clear price signals, means consumer choice is what will drive market development for energy and energy related services.

This is a direction consumers were already headed in – with or without us – propelled by technological change.

The different parts of the Power of Choice reform program will work together to support that change. But we must stay the course on all aspects of the reform program, because they are very much integrated reforms which rely on each other to succeed.

Metering is not the only technological issue the AEMC is looking at which has the potential to reshape the energy market landscape.

In collaboration with the CSIRO, we’ve also started a new project looking at the regulatory implications of storage technology.

Advances in technology and decreasing costs mean storage technologies have the potential to affect every part of the electricity supply chain.

Distributed storage systems may offer significant benefits to consumers with intermittent energy sources, such as the 1.4 million Australian households with rooftop solar PV, by allowing them to better match their generation to their usage needs.

Large-scale storage systems may be used by network businesses to reduce congestion, smooth network peaks, mitigate outages or provide network support in remote areas – all of which potentially reduce the need for spending on network infrastructure, thereby reducing the cost of network services for consumers.

Storage systems connected to power stations could allow generators to better manage variations in wholesale prices between times of high and low demand, or better integrate variable generation resources like large-scale wind.

So we are looking at how different storage technologies may be utilised across the electricity supply chain; the implications for electricity consumption; and how the legislative and regulatory framework may need to respond.

The project is a little new, so we haven’t outlined the details of stakeholder engagement on this project, but that will happen in the coming months and I’m sure many of you will be interested in that.

Now, some would ask the question: does this mean you’re expecting storage technology to mature in the short term?

We don’t take a view on that. For us, the work we’re doing: looking at metering technologies, storage technologies and the regulatory implications of technology and market change in general is about understanding what is on the horizon so that the regulatory framework is flexible and resilient enough to respond to change, whatever comes.

We don’t know what types of technology are going to emerge in the future.

What we do know is that consumers will dictate that, by doing what consumers do in a workably competitive market.

The consumer driven transformation of energy markets will move ahead with us or without us.

Government, regulators and retailers, generators and networks alike have to make choices about whether they’ll embrace the evolution of the market.

Our view is that it is better to be ahead of change than behind it – regulators have found out the hard way what it means to be unprepared.

It’s now up to networks to respond to this evolution and to the new regulatory arrangements. The way you have structured your discussions today is evidence that has already happened.

Again, I want to thank you all – including the ENA – for coming with us on this path.

It is not an easy journey – and I dare say there’ll continue to be a fruitful and robust exchange of ideas.

But no structural change happens easily; and good, lasting reform only happens when there is that free and frank exchange of ideas via robust consultation and engagement.

I look forward to continuing that engagement with all of you.

And thank you again to the Energy Networks Association for inviting me to speak today.

ENDS

Australia’s experience of retail pricing reform: Paul Smith’s speech at the International Energy Conference

15 January 2015

SPEECH BY CHIEF EXECUTIVE PAUL SMITH AT IEA WORKSHOP

Network investment and regulation: Australia’s experience of retail pricing reform

14 January 2015

DOWNLOAD PDF VERSION

Introduction I’ve been asked to discuss Australia’s experience in retail pricing reform.

Naturally that means I’d like to spend part of my presentation talking about the emergence of retail competition, which has been a necessary pre-cursor to retail price deregulation in Australia.

And although previous speakers have already spent considerable time discussing network pricing reform – in particular cost reflective distribution tariffs – I feel it would be remiss of me not to touch on Australia’s experience in this area, as it is one of the most significant areas of energy market development the Australian Energy Market Commission has progressed in the past 2-3 years.

Australia’s National Electricity Market – the NEM – covers six of our eight states and territories on the eastern seaboard and in the south.

That’s an area larger than Western Europe and supports around 19 million energy users.

Western Australia and the Northern Territory are not part of NEM as they are not interconnected to the rest of the grid.

The Australian Energy Market Commission is an independent agency, responsible for:

  • Making the rules for the National Electricity Market and gas markets.
  • Providing advice to all Australian governments – state, territory and federal via COAG EC.
  • Reviews on specific energy market issues.

We’re one of three energy market institutions – the other two are responsible for regulation and compliance with the rules we make (AER) and operating the market (AEMO).

Reform of Australia’s electricity retail market

The reform of Australia’s electricity markets over the last 25 years is a useful case study, in part because we have followed a fairly clear and consistent trajectory.

Integral to the reforms we’ve made in the last 2-3 decades has been our experience of retail pricing reform, which goes back to the early days of the establishment of the NEM in 1991.

The Council of Australian Governments which includes the state governments who have regulatory oversight of energy, and the commonwealth, took the decision to move toward a competitive electricity market in response to a report that found potentially significant increases in Australia’s GDP could be realised by reforming the electricity market, along with a number of other utility services.

A common feature of these sectors was that they were dominated by publicly owned enterprises often with a monopoly industry structure.

A central authority was effectively determining how the sector developed.

It owned the regulatory functions.

It owned the capital and labour,

And it owned responsibility for the investment decisions – how much capacity is to be built or procured… based on its own forecasts of the future.

Prices did not reflect efficient costs and investment decisions were centrally directed.

Which meant the cost of getting these investment decisions wrong – usually by procuring too much energy – rested with consumers and tax payers.

Since then, the reform story in our sector has been one of:

  • separating policy and regulatory functions from industry;
  • industry restructuring with vertical separation of generation and retail from the natural monopoly elements of transmission and distribution; and
  • bringing competition to the sector.

And underpinning the reform story, in all three of these areas, is the reallocation of demand and investment risks from consumers to electricity businesses and investors.

Retail price reform is clearly an important part of this transformation. Customer choice in electricity supplier across the NEM, initially for large customers, was a first step in the transition to full retail competition and the deregulation of retail pricing.

Full retail competition is important because it creates competitive pressure in the wholesale electricity market by exposing consumers to the actual cost of electricity, generating a demand response which sends effective price signals to the wholesale market about required investment.

Competition was gradually introduced to the retail sector across the NEM, with Victoria and NSW the first to move in 2002. The other NEM states and territories have since followed and all jurisdictions now allow for competition in retail markets.

The next important step is the deregulation of retail prices.

In 2004 the Council of Australian Government committed to deregulate retail energy prices where effective competition could be demonstrated.

To support that commitment, the Council also asked the AEMC to assess competition in NEM jurisdictions each year to advise whether competition was effective.

The AEMC’s competition reviews have proved important in the move toward retail price deregulation, giving jurisdictions evidence on which to base their policy decisions.

  • Our 2008 reviews in Victoria and South Australia led to these states becoming the first to deregulate prices, although South Australia did not proceed until 2012.
  • Last year, our review of retail competition in New South Wales found competition was effective, paving the way for price deregulation in that state.
  • Also last year, we completed our first full NEM-wide retail competition review which advised that retail competition was effective in South East Queensland. Shortly after the review was released, the Queensland Government announced it would deregulate retail prices from July 2015.
  • The ACT and Tasmania – our smallest jurisdictions – are yet to deregulate retail prices, along with regional Queensland, and these markets have a little way to go before we would regard competition as being effective for that to take place.

So while there is some unfinished business, the Australian electricity retail sector has matured – at least in the National Electricity Market jurisdictions – and can now be described as a broadly competitive market.

One of the strengths of our retail competition reviews is the broad approach to assessing competition.

We make significant use of consumer research to help inform our findings, including a NEM wide survey of several thousand consumers.

We also draw on evidence from consumer groups, retailers, regulators, ombudsmen and representatives of community groups.

Of course, it is difficult to identify a single objective measure that can capture the dynamic nature of retail energy markets.

We examine a number of different indicators that highlight both the behaviour of retailers and the responses of customers.

And we focus our assessment on whether retail markets in NEM jurisdictions are providing outcomes that are consistent with effective competition.

Specifically, the "competitive market indicators" we use are:

  • the level of customer activity in the market;
  • barriers to retailers entering, expanding or exiting the market;
  • the degree of independent rivalry;
  • customer outcomes; and
  • retailer outcomes.

The 2014 NEM wide review found that Australian consumers are shopping around and are generally happy with their retailer experience.

In fact they are shopping around for better deals for electricity and gas more often than they are switching insurance companies, or phone and internet providers.

90 per cent of all consumers were aware they could choose their energy company, up to 40 per cent had actively investigated options, and up to 28 per cent had actually switched providers during 2013.

The other regular, yearly, report the COAG Energy Council asked the Commission to prepare is our Residential Electricity Price Trends report, which looks at the key factors driving electricity price movements in each NEM jurisdiction – those being retail prices and wholesale costs, transmission and distribution network costs and environmental policy costs.

Part of the reason retail price deregulation and the establishment of retail competition is so important is that helps ensure price signals flow up and down 5 the supply chain in a way the generates efficient investment in the energy sector, and efficient energy use.

Prior to the introduction of retail contestability and price deregulation, some residential price structures set by governments benefited from a cross-subsidy from business to household customers and were therefore not always cost reflective.

With the introduction of full retail contestability and price deregulation, retailers now compete for consumers by offering a range of contracts that should reflect the cost of supply and provide signals that lead to efficient decision making.

AEMC research from July 2014 shows that there are anywhere from 8 to 19 unique electricity retail offers available to meet the different needs of consumers across the east coast.

These contracts include different pricing structures depending on how much energy is consumed and the time of day, as well as pay on time discounts and incentives such as reward points and sporting memberships.

With the roll out of smart meters, retailers are also beginning to offer innovative deals such as “free power on Saturdays”.

With the greater prevalence of choice driven by market liberalisation and the emergence of smart meter technology, our recent work has focussed on ensuring that consumers have the awareness and tools to engage in the retail market and choose an offer that best meets their individual needs.

One issue our price trends report highlights is that the wholesale and retail components only make up an average 40 per cent of the cost of supplying electricity to homes and families.

Around 50 per cent is the cost of maintaining and upgrading the regulated transmission and distribution network.

This means network costs are a key driver of retail prices.

Most network prices include a fixed daily charge and a variable consumption charge. The fixed charge is largely the same for all of a retailer’s consumers within a distribution network area, whereas the variable charge can change with a consumer’s level of electricity usage.

The fixed component makes up between 15 and 26 per cent of the total retail price in South Australia, Victoria, New South Wales and Queensland.

Since the fixed charge is paid irrespective of energy consumption, consumers who decrease their usage may not see a comparable decrease in the network component of their retail bill.

The higher the proportion of the total bill relating to the variable charge, the more changes in energy consumption will affect the level of revenue recovered by network businesses.

Hence, under the current pricing structures, when energy consumption declines, networks are likely to recover less revenue.

Given that a high proportion of network prices relate to past investments, any under-recovery due to declining consumption would need to be offset by higher network prices.

Network pricing reform

In order to have cost reflective prices which send efficient price signals up and down the supply chain, we also needed to embrace cost reflective network pricing.

A rule change the Commission made in late November moves the National Electricity Market to cost reflective distribution network tariffs.

Under the price structures that have operated in Australia to date, energy users paid the same network price even if the costs of such usage vary by location and time, regardless of how or when they are using power.

Effectively network prices over-recovered revenue for off-peak use of the network and under-recovered for peak use.

This meant energy users who use most of their energy at off-peak times were paying more than it costs to supply network services to them – while those using energy at peak times were paying less than it costs.

Analysis undertaken for the Commission highlighted a number of perverse outcomes we saw under the old rules.

Example 1: Solar PV

A consumer using an average size north facing solar PV system will save themselves about $200 a year in network charges compared with a similar consumer without solar.

Because most of the solar energy is generated at non-peak times, it reduces the network’s costs by $80, leaving other consumers to make up the $120 shortfall through higher charges.

The same consumer could reduce network costs considerably by facing their panels west, generating more energy at peak times when it is most needed.

But under the existing network pricing arrangements, the consumer has no incentive to do so as they benefit more by generating more total energy throughout the day.

Example 2: Air conditioners

A residential consumer using a large 5kW air-conditioner in peak times will cause about $1,000 a year in additional network costs compared with a similar energy user without an air-conditioner.

But the residential consumer with the air-conditioner paid about an extra $300 under the most common network prices.

The remaining $700 is recovered from other consumers, big and small, through higher network charges.

In both examples, many consumers are paying more than it costs to provide services to them.

The same analysis estimated 70-80 per cent of consumers would face lower network charges in the medium term under a cost reflective capacity price.

What this boils down to for residential consumers is lower average network charges of between $28 and $145 per year.

Based on Victorian trials, we also found a small business could save up to $2,118 or 34% of its total annual electricity network charges by using less electricity at peak times for just 20 hours per year when networks are congested

The new arrangements will see more efficient price signals emerge, removing cross subsidisation and giving energy users the information they need to decide what technologies might work best for them to manage usage, and help reduce their energy costs.

The network pricing reforms will work together with greater competition, retail pricing reform and a range of other measures to support an energy market which:

a) gets risk allocation right – i.e. where risk is allocated to those best placed to manage those risks; and

b) sends the right price signals up and down the supply chain.

And ultimately this is about creating the right environment for investment to respond to changing patterns of consumer demand and changes in relative prices brought about by innovation, new technologies and the opportunities for improved productivity.

Conclusion

Key to the success we have had in Australia in terms of enduring microeconomic reform in the electricity sector is a new alignment of risk and 8 investment decision-making and the establishment of a workably competitive industry structure.

A distinguishing feature of the National Electricity Market is the way that risks associated with forecasts of future demand are managed and allocated.

In the National Electricity Market, competing generators make these investment decisions based on their own expectations of future demand.

If they overinvest, prices fall, consumers benefit and only the generators’ shareholders bear the risk in the form of lower returns.

Our experience in Australia has taught us that competition and market signals generally lead to better outcomes for consumers than systems that depend on centralised decision-makers.

And if we are relying on price signals to guide investment, production and consumption decisions, we need to make sure that the signals are efficient – that is, broadly cost-reflective and not distorted.

I hope Australia’s experience is useful in thinking about issues emerging in other part of the world.

ENDS

Australia’s experience of retail pricing reform

14 January 2015

SPEECH BY CHIEF EXECUTIVE PAUL SMITH AT IEA WORKSHOP

Network investment and regulation: Australia’s experience of retail pricing reform

14 January 2015

DOWNLOAD PDF VERSION

Introduction I’ve been asked to discuss Australia’s experience in retail pricing reform.

Naturally that means I’d like to spend part of my presentation talking about the emergence of retail competition, which has been a necessary pre-cursor to retail price deregulation in Australia.

And although previous speakers have already spent considerable time discussing network pricing reform – in particular cost reflective distribution tariffs – I feel it would be remiss of me not to touch on Australia’s experience in this area, as it is one of the most significant areas of energy market development the Australian Energy Market Commission has progressed in the past 2-3 years.

Australia’s National Electricity Market – the NEM – covers six of our eight states and territories on the eastern seaboard and in the south.

That’s an area larger than Western Europe and supports around 19 million energy users.

Western Australia and the Northern Territory are not part of NEM as they are not interconnected to the rest of the grid.

The Australian Energy Market Commission is an independent agency, responsible for:

  • Making the rules for the National Electricity Market and gas markets.
  • Providing advice to all Australian governments – state, territory and federal via COAG EC.
  • Reviews on specific energy market issues.

We’re one of three energy market institutions – the other two are responsible for regulation and compliance with the rules we make (AER) and operating the market (AEMO).

Reform of Australia’s electricity retail market

The reform of Australia’s electricity markets over the last 25 years is a useful case study, in part because we have followed a fairly clear and consistent trajectory.

Integral to the reforms we’ve made in the last 2-3 decades has been our experience of retail pricing reform, which goes back to the early days of the establishment of the NEM in 1991.

The Council of Australian Governments which includes the state governments who have regulatory oversight of energy, and the commonwealth, took the decision to move toward a competitive electricity market in response to a report that found potentially significant increases in Australia’s GDP could be realised by reforming the electricity market, along with a number of other utility services.

A common feature of these sectors was that they were dominated by publicly owned enterprises often with a monopoly industry structure.

A central authority was effectively determining how the sector developed.

It owned the regulatory functions.

It owned the capital and labour,

And it owned responsibility for the investment decisions – how much capacity is to be built or procured… based on its own forecasts of the future.

Prices did not reflect efficient costs and investment decisions were centrally directed.

Which meant the cost of getting these investment decisions wrong – usually by procuring too much energy – rested with consumers and tax payers.

Since then, the reform story in our sector has been one of:

  • separating policy and regulatory functions from industry;
  • industry restructuring with vertical separation of generation and retail from the natural monopoly elements of transmission and distribution; and
  • bringing competition to the sector.

And underpinning the reform story, in all three of these areas, is the reallocation of demand and investment risks from consumers to electricity businesses and investors.

Retail price reform is clearly an important part of this transformation. Customer choice in electricity supplier across the NEM, initially for large customers, was a first step in the transition to full retail competition and the deregulation of retail pricing.

Full retail competition is important because it creates competitive pressure in the wholesale electricity market by exposing consumers to the actual cost of electricity, generating a demand response which sends effective price signals to the wholesale market about required investment.

Competition was gradually introduced to the retail sector across the NEM, with Victoria and NSW the first to move in 2002. The other NEM states and territories have since followed and all jurisdictions now allow for competition in retail markets.

The next important step is the deregulation of retail prices.

In 2004 the Council of Australian Government committed to deregulate retail energy prices where effective competition could be demonstrated.

To support that commitment, the Council also asked the AEMC to assess competition in NEM jurisdictions each year to advise whether competition was effective.

The AEMC’s competition reviews have proved important in the move toward retail price deregulation, giving jurisdictions evidence on which to base their policy decisions.

  • Our 2008 reviews in Victoria and South Australia led to these states becoming the first to deregulate prices, although South Australia did not proceed until 2012.
  • Last year, our review of retail competition in New South Wales found competition was effective, paving the way for price deregulation in that state.
  • Also last year, we completed our first full NEM-wide retail competition review which advised that retail competition was effective in South East Queensland. Shortly after the review was released, the Queensland Government announced it would deregulate retail prices from July 2015.
  • The ACT and Tasmania – our smallest jurisdictions – are yet to deregulate retail prices, along with regional Queensland, and these markets have a little way to go before we would regard competition as being effective for that to take place.

So while there is some unfinished business, the Australian electricity retail sector has matured – at least in the National Electricity Market jurisdictions – and can now be described as a broadly competitive market.

One of the strengths of our retail competition reviews is the broad approach to assessing competition.

We make significant use of consumer research to help inform our findings, including a NEM wide survey of several thousand consumers.

We also draw on evidence from consumer groups, retailers, regulators, ombudsmen and representatives of community groups.

Of course, it is difficult to identify a single objective measure that can capture the dynamic nature of retail energy markets.

We examine a number of different indicators that highlight both the behaviour of retailers and the responses of customers.

And we focus our assessment on whether retail markets in NEM jurisdictions are providing outcomes that are consistent with effective competition.

Specifically, the "competitive market indicators" we use are:

  • the level of customer activity in the market;
  • barriers to retailers entering, expanding or exiting the market;
  • the degree of independent rivalry;
  • customer outcomes; and
  • retailer outcomes.

The 2014 NEM wide review found that Australian consumers are shopping around and are generally happy with their retailer experience.

In fact they are shopping around for better deals for electricity and gas more often than they are switching insurance companies, or phone and internet providers.

90 per cent of all consumers were aware they could choose their energy company, up to 40 per cent had actively investigated options, and up to 28 per cent had actually switched providers during 2013.

The other regular, yearly, report the COAG Energy Council asked the Commission to prepare is our Residential Electricity Price Trends report, which looks at the key factors driving electricity price movements in each NEM jurisdiction – those being retail prices and wholesale costs, transmission and distribution network costs and environmental policy costs.

Part of the reason retail price deregulation and the establishment of retail competition is so important is that helps ensure price signals flow up and down 5 the supply chain in a way the generates efficient investment in the energy sector, and efficient energy use.

Prior to the introduction of retail contestability and price deregulation, some residential price structures set by governments benefited from a cross-subsidy from business to household customers and were therefore not always cost reflective.

With the introduction of full retail contestability and price deregulation, retailers now compete for consumers by offering a range of contracts that should reflect the cost of supply and provide signals that lead to efficient decision making.

AEMC research from July 2014 shows that there are anywhere from 8 to 19 unique electricity retail offers available to meet the different needs of consumers across the east coast.

These contracts include different pricing structures depending on how much energy is consumed and the time of day, as well as pay on time discounts and incentives such as reward points and sporting memberships.

With the roll out of smart meters, retailers are also beginning to offer innovative deals such as “free power on Saturdays”.

With the greater prevalence of choice driven by market liberalisation and the emergence of smart meter technology, our recent work has focussed on ensuring that consumers have the awareness and tools to engage in the retail market and choose an offer that best meets their individual needs.

One issue our price trends report highlights is that the wholesale and retail components only make up an average 40 per cent of the cost of supplying electricity to homes and families.

Around 50 per cent is the cost of maintaining and upgrading the regulated transmission and distribution network.

This means network costs are a key driver of retail prices.

Most network prices include a fixed daily charge and a variable consumption charge. The fixed charge is largely the same for all of a retailer’s consumers within a distribution network area, whereas the variable charge can change with a consumer’s level of electricity usage.

The fixed component makes up between 15 and 26 per cent of the total retail price in South Australia, Victoria, New South Wales and Queensland.

Since the fixed charge is paid irrespective of energy consumption, consumers who decrease their usage may not see a comparable decrease in the network component of their retail bill.

The higher the proportion of the total bill relating to the variable charge, the more changes in energy consumption will affect the level of revenue recovered by network businesses.

Hence, under the current pricing structures, when energy consumption declines, networks are likely to recover less revenue.

Given that a high proportion of network prices relate to past investments, any under-recovery due to declining consumption would need to be offset by higher network prices.

Network pricing reform

In order to have cost reflective prices which send efficient price signals up and down the supply chain, we also needed to embrace cost reflective network pricing.

A rule change the Commission made in late November moves the National Electricity Market to cost reflective distribution network tariffs.

Under the price structures that have operated in Australia to date, energy users paid the same network price even if the costs of such usage vary by location and time, regardless of how or when they are using power.

Effectively network prices over-recovered revenue for off-peak use of the network and under-recovered for peak use.

This meant energy users who use most of their energy at off-peak times were paying more than it costs to supply network services to them – while those using energy at peak times were paying less than it costs.

Analysis undertaken for the Commission highlighted a number of perverse outcomes we saw under the old rules.

Example 1: Solar PV

A consumer using an average size north facing solar PV system will save themselves about $200 a year in network charges compared with a similar consumer without solar.

Because most of the solar energy is generated at non-peak times, it reduces the network’s costs by $80, leaving other consumers to make up the $120 shortfall through higher charges.

The same consumer could reduce network costs considerably by facing their panels west, generating more energy at peak times when it is most needed.

But under the existing network pricing arrangements, the consumer has no incentive to do so as they benefit more by generating more total energy throughout the day.

Example 2: Air conditioners

A residential consumer using a large 5kW air-conditioner in peak times will cause about $1,000 a year in additional network costs compared with a similar energy user without an air-conditioner.

But the residential consumer with the air-conditioner paid about an extra $300 under the most common network prices.

The remaining $700 is recovered from other consumers, big and small, through higher network charges.

In both examples, many consumers are paying more than it costs to provide services to them.

The same analysis estimated 70-80 per cent of consumers would face lower network charges in the medium term under a cost reflective capacity price.

What this boils down to for residential consumers is lower average network charges of between $28 and $145 per year.

Based on Victorian trials, we also found a small business could save up to $2,118 or 34% of its total annual electricity network charges by using less electricity at peak times for just 20 hours per year when networks are congested

The new arrangements will see more efficient price signals emerge, removing cross subsidisation and giving energy users the information they need to decide what technologies might work best for them to manage usage, and help reduce their energy costs.

The network pricing reforms will work together with greater competition, retail pricing reform and a range of other measures to support an energy market which:

a) gets risk allocation right – i.e. where risk is allocated to those best placed to manage those risks; and

b) sends the right price signals up and down the supply chain.

And ultimately this is about creating the right environment for investment to respond to changing patterns of consumer demand and changes in relative prices brought about by innovation, new technologies and the opportunities for improved productivity.

Conclusion

Key to the success we have had in Australia in terms of enduring microeconomic reform in the electricity sector is a new alignment of risk and 8 investment decision-making and the establishment of a workably competitive industry structure.

A distinguishing feature of the National Electricity Market is the way that risks associated with forecasts of future demand are managed and allocated.

In the National Electricity Market, competing generators make these investment decisions based on their own expectations of future demand.

If they overinvest, prices fall, consumers benefit and only the generators’ shareholders bear the risk in the form of lower returns.

Our experience in Australia has taught us that competition and market signals generally lead to better outcomes for consumers than systems that depend on centralised decision-makers.

And if we are relying on price signals to guide investment, production and consumption decisions, we need to make sure that the signals are efficient – that is, broadly cost-reflective and not distorted.

I hope Australia’s experience is useful in thinking about issues emerging in other part of the world.

ENDS

Commissioner Neville Henderson’s speech to EUAA Annual Conference: Power of Choice and other energy market reforms

14 October 2014

SPEECH BY COMMISSIONER NEVILLE HENDERSON AT 2014 EUAA CONFERENCE

Power of Choice and other energy market reforms

13 October 2014

DOWNLOAD PDF VERSION

I’d like to start by acknowledging the traditional owners of the land on which we meet and pay my respects to their elders both past and present.

Can I also thank Phil Barresi, CEO of the Energy Users Association of Australia for inviting the AEMC to address you today and pass on my apologies that Chairman John Pierce cannot be here.

When John spoke at this conference last year – which I’m sure many of you attended, he talked about some of the key drivers of electricity price rises in recent years – environmental policies and investments in the distribution network, principal among them.

He also talked about the strategic priorities of the Australian Energy Market Commission and some of the work under way as part of the Power of Choice reforms, which hold promise for both small and large energy users.

Twelve months later, there has been significant change for our sector in terms of policy and regulation which affect energy prices.

It can be helpful to think about those things which affect energy prices as grouped into three broad areas.

  • The competitive sectors in retail and generation;
  • The regulated distribution and transmission network; and
  • Other policies which sit in non-energy portfolio areas – mainly environmental policies – that impact on the energy sector.

In terms of the latter, the carbon tax has been removed and we are knee-deep in a public discussion about the future of the Renewable Energy Target.

In terms of the distribution network, the AEMC’s new rules governing how the Australian Energy Regulator will approve network revenue are starting to be implemented and we are seeing networks engaging with consumers, large and small, directly on their investment plans.

We have also just seen the Federal Government’s Energy Green Paper, which will no doubt see in some changes for the energy sector.

So reforms to the electricity market therefore continue to move forward and this has been helped by the governance model that has developed since the inception of the National Electricity Market.

As most of you know, the AEMC is the rule maker for most parts of the supply chain across electricity and natural gas.

We also provide advice to governments on energy market development, based on Terms of Reference provided to us by the COAG Energy Council.

We do not initiate our own rule change requests and instead rely on requests from governments, market participants and indeed any other party who sees an issue to be addressed.

So the remit of the AEMC and other market institutions, including the AER and AEMO, covers the first two of these three elements impacting prices – the competitive sectors and network regulation.

There are some clear advantages to this governance model, particularly in the clarity of roles and responsibilities across the different institutions. It does however mean that the delivery of rule changes can be tied to the timeframes and deliberations of other market institutions.

The Power of Choice reforms are a good example of what this means in practice.

The final Power of Choice report and proposed implementation plan were provided to the COAG Energy Council for their consideration in November 2012.

This included a range of recommendations to improve demand side participation in energy markets. The five rule change requests that came out of the Power of Choice Review took about a year to be agreed upon and submitted to the AEMC.

And once we receive the rule change requests we undertake a thorough process of consultation and engagement to make sure that all stakeholders have a chance to contribute to the debate.

This generally involves Consultation Paper, public forums, targeted stakeholder workshops with further consultation on a Draft Determination, before a Final Determination is made.

These sorts of timelines can sometimes frustrate those keen to see reforms progressed quickly.

The Commission shares the eagerness of many, including the EUAA to see the potential of the Power of Choice review realised.

The principle behind the review – to give energy users, including commercial and industrial consumers, choice, and allowing those choices to drive energy market development – continues to motivate the AEMC’s priorities and work program.

Today I’d like to focus on a few of the key reforms coming out of the Power of Choice review – changes to how distribution network tariffs are determined and expanding competition in metering and related services.

As I mentioned earlier, the overall amount of revenue networks are able to recover has been dealt with in earlier rule changes, particularly, the rule change in relation to Economic Regulation of Network Service Providers in 2012.

As you will remember, these changes related to the rules governing how the maximum revenue a network business recovers from all consumers is determined by the AER.

The changes included a new rate of return framework that is common to electricity distribution, electricity transmission and gas.

It requires the AER to make the best possible estimate of the rate of return at the time a regulatory determination is made, taking into account market circumstances, estimation methods, financial models and other relevant information.

The AER is required to undertake an open and consultative process at least every three years to develop its approach to setting the rate of return.

The new common framework also enables the regulator to take a range of different approaches to estimate the return on debt component, potentially allowing for reduced risk for debt financing for network businesses.

And importantly, it removes ambiguities regarding the powers of the AER to interrogate, review and amend capital and operating expenditure proposals submitted by network service providers.

The AER’s authority in this area has withstood Tribunal review, so you as consumers can feel confident that a robust regulatory mechanism is in place so that total revenues collected are appropriately determined.

Building on this, the rule change we’re working on currently – changes to distribution network pricing arrangements – looks at how that revenue is recovered. Making sure that the structure of network tariffs is helping to send efficient price signals back to consumers and in the process removing cross subsidisation between consumers.

Big energy users like many of your businesses tend to have a sophisticated understanding of their energy use largely due to the size and significance of that cost to running their business.

You’re probably also aware of the significant proportion of your bill that is made up of network charges.

Manufacturing, commercial and industrial, and electricity, gas water and waste services, are responsible for around 63 per cent of Australia’s electricity use.

Most if not all of you have interval meters so you are aware of how and when you use power. What has been missing is the ability to use the information you receive from your meter to influence that large bucket of network charges.

The price signals you currently receive are largely ‘muffled’ by a distribution network pricing structure which is not cost reflective.

Under current price structures, energy users pay the same network price even if the costs of such usage vary by location and time, regardless of how or when they are using power.

Existing network prices over-recover revenue for off-peak use of the network and under-recover for peak use.

This means energy users who use most of their energy at off-peak times are paying more than it costs to supply network services to them – while those using energy at peak times are paying less than it costs.

As an example, a residential consumer using a large 5kW air-conditioner in peak times will cause about $1,000 a year in additional network costs compared with a similar energy user without an air-conditioner.

But this residential consumer with the air-conditioner pays about an extra $300 under the most common network prices.

The remaining $700 is recovered from other consumers, big and small, through higher network charges.

Our Draft Determination on distribution network pricing will create the conditions for network prices paid by individual consumers and businesses to better reflect the cost of providing network services to them. It will allow more efficient price signals to emerge, removing cross subsidisation and giving 5 energy users the information they need to decide what technologies might work best for them to manage usage, and help reduce their energy costs.

We have analysed the impact of the changes to distribution network pricing arrangements on residential customers. That analysis estimates that up to 81 per cent of residential consumers would face lower network charges in the medium term under a cost-reflective capacity price and up to 69 per cent would see lower charges under a critical peak price.

The next piece of work, which we have recently commissioned, looks at the likely impact on business – particularly larger commercial and industrial energy users.

We do, of course, have some relevant experience to draw on – Ausnet already offers flexible pricing for network services in their distribution area in Victoria.

If you’re a business with a relatively flat load profile you should see lower network charges, reflecting the lower demands you place on the grid.

And some energy users will choose to respond to new network price structures by further reducing their use of the network at peak times, which will reduce overall network costs, with savings passed on to them.

The AEMC’s draft rule also sets out new processes and timeframes for setting network prices to improve certainty, timeliness and transparency for consumers and retailers. This should help businesses plan their expenditure more effectively and avoid bill shocks.

The Commission fully appreciates the eagerness of this sector – the EUAA and its members – to see this rule change progressed.

There have been claims by some that no concrete action is planned for the short term. That is wrong.

A final determination on this rule change is due to be published in November. This will include a phased implementation plan to give industry and consumers time to adjust to the change, with the new rules to be implemented progressively between next year and 2017 in all jurisdictions, depending on when regulatory determination cycles occur.

Linked with the distribution network changes, is another Power of Choice building block, aimed at creating opportunities for a competitive energy services market.

We don’t necessarily know which technologies will develop in the future or how they will be used, but we know technology will empower all consumers and help drive innovation and change.

And it will do that best if there is competition in the market for these products and services.

The rule change to promote competition in metering and related services, along with the open access and common communications standards framework for smart meters, as well as arrangements to allow multiple trading relationships at the consumer’s connection point - these reforms will all work together to provide energy users a greater armoury of tools to respond to market signals and make decisions about the best and most efficient way for your business to consume energy.

A discussion paper on the competition in metering and related services rule change is currently online and we’ve just completed a series of stakeholder workshops as part of that consultation process.

I’d like to turn now to the third area I identified earlier as influencing energy market outcomes – the integration of policies outside the energy portfolio.

Governments legitimately have a range of policy objectives in addition to energy policy objectives.

The Renewable Energy Target does not need to be designed in a way that negatively interferes with the goal of efficient markets.

The desire to encourage renewable generation need not be at the expense of the wholesale market.

The RET in its current form is not able to adjust to prevailing market conditions.

As demand has fallen, new renewable capacity has continued to be developed. Falling demand in an efficient energy-only wholesale market like the NEM would signal to generators that no new capacity is required. The RET however provides an incentive for additional build.

In this sense the RET has shifted the risk allocation in the National Electricity Market.

Prior to the RET, generators bore the risk of their assets being under-utilised by falling demand.

Generation built under the auspices of the RET does not bear that risk which instead has been transferred to consumers in the form of retailer compliance costs.

The effect of this has been to create a disconnect between retail and wholesale prices. So there is a wedge between retail and wholesale prices, where the former has increased given the obligation on retailers to procure renewable certificates, while the latter prevents the appropriate demand-side response and ultimately the efficient clearing of the wholesale market.

In our submission to the RET review, we proposed two possible solutions.

First, moving the RET to a floating target, as opposed to a fixed GWh target. This would shift the allocation of demand risk away from consumers and more appropriately share it amongst investors – renewable and thermal – who are better placed to manage such risk and profit from efficient decisions.

The Commission believes this is a more sustainable approach, allowing the RET to better integrate with the structure of the National Electricity Market.

An alternative we put forward is to Transition the RET to an emissions intensity based scheme for the electricity sector.

This scheme could be designed in a number of ways, including where generators below a defined emissions intensity level create certificates that generators above the level are liable to purchase.

Retailers and other liable entities under the current RET scheme would not participate directly.

This type of approach would encourage all lower emissions technology options, not only renewable energy, and is therefore likely to meet any emissions reduction target at a lower cost – and that means lower energy bills for small and large consumers.

Both options would provide a viable path forward and greater certainty for large energy users.

Finally, I want to update you on the AEMC’s work in relation to gas markets.

Promoting the development of efficient gas markets is one of the AEMC’s strategic priorities.

There are major structural shifts occurring in gas as we ramp up to LNG exports from Gladstone.

Given these developments, last year the AEMC initiated a scoping study to consult with stakeholders and identify areas of potential improvement in the market and regulatory arrangements.

One of our key findings was the need for an integrated gas market development plan within which the industry can work towards achieving a mature and well-functioning market.

This would help build certainty around what the LNG export developments mean for the domestic market and the direction that gas market development should take in response.

An important part of this work will be to consider the future role and objectives of the gas trading hubs on the east coast, including possible reforms to trading hubs which might increase the ability for market participants to manage risk and in turn facilitate greater trading and liquidity.

Over time, we expect that this type of gas market development work will lower barriers to entry in these markets and promote greater competition by providing gas users with additional options for sourcing their gas.

We are engaging with governments and stakeholders to support a gas market framework which continues to promote efficiency and competition.

The last twelve months really has seen substantial change in the energy sector and there is much to be optimistic about.

Some changes to environmental policies are having an immediate dampening effect on energy prices. While others are still being determined but we are hopeful of a decision that supports efficient market outcomes.

I believe we are making headway in getting a more reasonable approach to approvals of distribution network revenues, and the removal of cross-subsidies in network tariffs.

Change can be good if it’s relatively predictable and its objectives widely understood.

Ultimately that is what I think the AEMC, through its work with governments and stakeholders, is trying to achieve – a pathway forward and a sensible and sustainable set of policies and rules which are predictable, coherent and work together, or integrate, to encourage competition in the energy sector.

I look forward to continuing to work with the EUAA and its members to promote the development of robust, competitive markets that will continue to support the vital contributions that your businesses make to the Australian economy.

Thank you.

ENDS

Power of Choice and other energy market reforms

14 October 2014

SPEECH BY COMMISSIONER NEVILLE HENDERSON AT 2014 EUAA CONFERENCE

Power of Choice and other energy market reforms

13 October 2014

DOWNLOAD PDF VERSION

I’d like to start by acknowledging the traditional owners of the land on which we meet and pay my respects to their elders both past and present.

Can I also thank Phil Barresi, CEO of the Energy Users Association of Australia for inviting the AEMC to address you today and pass on my apologies that Chairman John Pierce cannot be here.

When John spoke at this conference last year – which I’m sure many of you attended, he talked about some of the key drivers of electricity price rises in recent years – environmental policies and investments in the distribution network, principal among them.

He also talked about the strategic priorities of the Australian Energy Market Commission and some of the work under way as part of the Power of Choice reforms, which hold promise for both small and large energy users.

Twelve months later, there has been significant change for our sector in terms of policy and regulation which affect energy prices.

It can be helpful to think about those things which affect energy prices as grouped into three broad areas.

  • The competitive sectors in retail and generation;
  • The regulated distribution and transmission network; and
  • Other policies which sit in non-energy portfolio areas – mainly environmental policies – that impact on the energy sector.

In terms of the latter, the carbon tax has been removed and we are knee-deep in a public discussion about the future of the Renewable Energy Target.

In terms of the distribution network, the AEMC’s new rules governing how the Australian Energy Regulator will approve network revenue are starting to be implemented and we are seeing networks engaging with consumers, large and small, directly on their investment plans.

We have also just seen the Federal Government’s Energy Green Paper, which will no doubt see in some changes for the energy sector.

So reforms to the electricity market therefore continue to move forward and this has been helped by the governance model that has developed since the inception of the National Electricity Market.

As most of you know, the AEMC is the rule maker for most parts of the supply chain across electricity and natural gas.

We also provide advice to governments on energy market development, based on Terms of Reference provided to us by the COAG Energy Council.

We do not initiate our own rule change requests and instead rely on requests from governments, market participants and indeed any other party who sees an issue to be addressed.

So the remit of the AEMC and other market institutions, including the AER and AEMO, covers the first two of these three elements impacting prices – the competitive sectors and network regulation.

There are some clear advantages to this governance model, particularly in the clarity of roles and responsibilities across the different institutions. It does however mean that the delivery of rule changes can be tied to the timeframes and deliberations of other market institutions.

The Power of Choice reforms are a good example of what this means in practice.

The final Power of Choice report and proposed implementation plan were provided to the COAG Energy Council for their consideration in November 2012.

This included a range of recommendations to improve demand side participation in energy markets. The five rule change requests that came out of the Power of Choice Review took about a year to be agreed upon and submitted to the AEMC.

And once we receive the rule change requests we undertake a thorough process of consultation and engagement to make sure that all stakeholders have a chance to contribute to the debate.

This generally involves Consultation Paper, public forums, targeted stakeholder workshops with further consultation on a Draft Determination, before a Final Determination is made.

These sorts of timelines can sometimes frustrate those keen to see reforms progressed quickly.

The Commission shares the eagerness of many, including the EUAA to see the potential of the Power of Choice review realised.

The principle behind the review – to give energy users, including commercial and industrial consumers, choice, and allowing those choices to drive energy market development – continues to motivate the AEMC’s priorities and work program.

Today I’d like to focus on a few of the key reforms coming out of the Power of Choice review – changes to how distribution network tariffs are determined and expanding competition in metering and related services.

As I mentioned earlier, the overall amount of revenue networks are able to recover has been dealt with in earlier rule changes, particularly, the rule change in relation to Economic Regulation of Network Service Providers in 2012.

As you will remember, these changes related to the rules governing how the maximum revenue a network business recovers from all consumers is determined by the AER.

The changes included a new rate of return framework that is common to electricity distribution, electricity transmission and gas.

It requires the AER to make the best possible estimate of the rate of return at the time a regulatory determination is made, taking into account market circumstances, estimation methods, financial models and other relevant information.

The AER is required to undertake an open and consultative process at least every three years to develop its approach to setting the rate of return.

The new common framework also enables the regulator to take a range of different approaches to estimate the return on debt component, potentially allowing for reduced risk for debt financing for network businesses.

And importantly, it removes ambiguities regarding the powers of the AER to interrogate, review and amend capital and operating expenditure proposals submitted by network service providers.

The AER’s authority in this area has withstood Tribunal review, so you as consumers can feel confident that a robust regulatory mechanism is in place so that total revenues collected are appropriately determined.

Building on this, the rule change we’re working on currently – changes to distribution network pricing arrangements – looks at how that revenue is recovered. Making sure that the structure of network tariffs is helping to send efficient price signals back to consumers and in the process removing cross subsidisation between consumers.

Big energy users like many of your businesses tend to have a sophisticated understanding of their energy use largely due to the size and significance of that cost to running their business.

You’re probably also aware of the significant proportion of your bill that is made up of network charges.

Manufacturing, commercial and industrial, and electricity, gas water and waste services, are responsible for around 63 per cent of Australia’s electricity use.

Most if not all of you have interval meters so you are aware of how and when you use power. What has been missing is the ability to use the information you receive from your meter to influence that large bucket of network charges.

The price signals you currently receive are largely ‘muffled’ by a distribution network pricing structure which is not cost reflective.

Under current price structures, energy users pay the same network price even if the costs of such usage vary by location and time, regardless of how or when they are using power.

Existing network prices over-recover revenue for off-peak use of the network and under-recover for peak use.

This means energy users who use most of their energy at off-peak times are paying more than it costs to supply network services to them – while those using energy at peak times are paying less than it costs.

As an example, a residential consumer using a large 5kW air-conditioner in peak times will cause about $1,000 a year in additional network costs compared with a similar energy user without an air-conditioner.

But this residential consumer with the air-conditioner pays about an extra $300 under the most common network prices.

The remaining $700 is recovered from other consumers, big and small, through higher network charges.

Our Draft Determination on distribution network pricing will create the conditions for network prices paid by individual consumers and businesses to better reflect the cost of providing network services to them. It will allow more efficient price signals to emerge, removing cross subsidisation and giving 5 energy users the information they need to decide what technologies might work best for them to manage usage, and help reduce their energy costs.

We have analysed the impact of the changes to distribution network pricing arrangements on residential customers. That analysis estimates that up to 81 per cent of residential consumers would face lower network charges in the medium term under a cost-reflective capacity price and up to 69 per cent would see lower charges under a critical peak price.

The next piece of work, which we have recently commissioned, looks at the likely impact on business – particularly larger commercial and industrial energy users.

We do, of course, have some relevant experience to draw on – Ausnet already offers flexible pricing for network services in their distribution area in Victoria.

If you’re a business with a relatively flat load profile you should see lower network charges, reflecting the lower demands you place on the grid.

And some energy users will choose to respond to new network price structures by further reducing their use of the network at peak times, which will reduce overall network costs, with savings passed on to them.

The AEMC’s draft rule also sets out new processes and timeframes for setting network prices to improve certainty, timeliness and transparency for consumers and retailers. This should help businesses plan their expenditure more effectively and avoid bill shocks.

The Commission fully appreciates the eagerness of this sector – the EUAA and its members – to see this rule change progressed.

There have been claims by some that no concrete action is planned for the short term. That is wrong.

A final determination on this rule change is due to be published in November. This will include a phased implementation plan to give industry and consumers time to adjust to the change, with the new rules to be implemented progressively between next year and 2017 in all jurisdictions, depending on when regulatory determination cycles occur.

Linked with the distribution network changes, is another Power of Choice building block, aimed at creating opportunities for a competitive energy services market.

We don’t necessarily know which technologies will develop in the future or how they will be used, but we know technology will empower all consumers and help drive innovation and change.

And it will do that best if there is competition in the market for these products and services.

The rule change to promote competition in metering and related services, along with the open access and common communications standards framework for smart meters, as well as arrangements to allow multiple trading relationships at the consumer’s connection point - these reforms will all work together to provide energy users a greater armoury of tools to respond to market signals and make decisions about the best and most efficient way for your business to consume energy.

A discussion paper on the competition in metering and related services rule change is currently online and we’ve just completed a series of stakeholder workshops as part of that consultation process.

I’d like to turn now to the third area I identified earlier as influencing energy market outcomes – the integration of policies outside the energy portfolio.

Governments legitimately have a range of policy objectives in addition to energy policy objectives.

The Renewable Energy Target does not need to be designed in a way that negatively interferes with the goal of efficient markets.

The desire to encourage renewable generation need not be at the expense of the wholesale market.

The RET in its current form is not able to adjust to prevailing market conditions.

As demand has fallen, new renewable capacity has continued to be developed. Falling demand in an efficient energy-only wholesale market like the NEM would signal to generators that no new capacity is required. The RET however provides an incentive for additional build.

In this sense the RET has shifted the risk allocation in the National Electricity Market.

Prior to the RET, generators bore the risk of their assets being under-utilised by falling demand.

Generation built under the auspices of the RET does not bear that risk which instead has been transferred to consumers in the form of retailer compliance costs.

The effect of this has been to create a disconnect between retail and wholesale prices. So there is a wedge between retail and wholesale prices, where the former has increased given the obligation on retailers to procure renewable certificates, while the latter prevents the appropriate demand-side response and ultimately the efficient clearing of the wholesale market.

In our submission to the RET review, we proposed two possible solutions.

First, moving the RET to a floating target, as opposed to a fixed GWh target. This would shift the allocation of demand risk away from consumers and more appropriately share it amongst investors – renewable and thermal – who are better placed to manage such risk and profit from efficient decisions.

The Commission believes this is a more sustainable approach, allowing the RET to better integrate with the structure of the National Electricity Market.

An alternative we put forward is to Transition the RET to an emissions intensity based scheme for the electricity sector.

This scheme could be designed in a number of ways, including where generators below a defined emissions intensity level create certificates that generators above the level are liable to purchase.

Retailers and other liable entities under the current RET scheme would not participate directly.

This type of approach would encourage all lower emissions technology options, not only renewable energy, and is therefore likely to meet any emissions reduction target at a lower cost – and that means lower energy bills for small and large consumers.

Both options would provide a viable path forward and greater certainty for large energy users.

Finally, I want to update you on the AEMC’s work in relation to gas markets.

Promoting the development of efficient gas markets is one of the AEMC’s strategic priorities.

There are major structural shifts occurring in gas as we ramp up to LNG exports from Gladstone.

Given these developments, last year the AEMC initiated a scoping study to consult with stakeholders and identify areas of potential improvement in the market and regulatory arrangements.

One of our key findings was the need for an integrated gas market development plan within which the industry can work towards achieving a mature and well-functioning market.

This would help build certainty around what the LNG export developments mean for the domestic market and the direction that gas market development should take in response.

An important part of this work will be to consider the future role and objectives of the gas trading hubs on the east coast, including possible reforms to trading hubs which might increase the ability for market participants to manage risk and in turn facilitate greater trading and liquidity.

Over time, we expect that this type of gas market development work will lower barriers to entry in these markets and promote greater competition by providing gas users with additional options for sourcing their gas.

We are engaging with governments and stakeholders to support a gas market framework which continues to promote efficiency and competition.

The last twelve months really has seen substantial change in the energy sector and there is much to be optimistic about.

Some changes to environmental policies are having an immediate dampening effect on energy prices. While others are still being determined but we are hopeful of a decision that supports efficient market outcomes.

I believe we are making headway in getting a more reasonable approach to approvals of distribution network revenues, and the removal of cross-subsidies in network tariffs.

Change can be good if it’s relatively predictable and its objectives widely understood.

Ultimately that is what I think the AEMC, through its work with governments and stakeholders, is trying to achieve – a pathway forward and a sensible and sustainable set of policies and rules which are predictable, coherent and work together, or integrate, to encourage competition in the energy sector.

I look forward to continuing to work with the EUAA and its members to promote the development of robust, competitive markets that will continue to support the vital contributions that your businesses make to the Australian economy.

Thank you.

ENDS

A consumer driven market

19 September 2014

SPEECH BY COMMISSIONER JOHN PIERCE AT 2014 NEM FUTURE FORUM

A consumer driven market: the next chapter in a national productivity improvement story

19 September 2014

DOWNLOAD PDF VERSION

Thank you for being here today to discuss the future of the National Electricity Market.

Before we begin, I’d like to acknowledge the traditional owners of the land on which we meet and pay my respects to their elders both past and present. I’d also like to acknowledge:

  • Keith Orchison, our Chair today, and
  • All our other speakers.

I’ve been asked to speak about where the national energy market is now, and where it’s headed in the future.

As a Commission, we are in a sense quite agnostic about the future. We are not in the business of making forecasts of demand, prices, relative costs and technologies.

In performing our role, we don’t need to, because ultimately it will be consumers doing what consumers do – making consumption decisions based on the price and service options available to them – that will drive the way the sector develops.

But where we are now?

The National Electricity Market has been on a fairly consistent reform path over the past 25 years or so.

I don’t intend to give a history lesson today, but briefly: the reform of the energy sector was part of a major period of economic reform kicked off in the 80s, which included reforming a set of capital intensive utility services such as energy, communications, transport and water, whose performance was not supporting long term economic growth to the extent that it could.

These assets were state owned, centrally organised and monopolistic.

Since then, the story in our sector has been one of separating policy and regulatory functions from industry; industry restructuring; and bringing competition to the sector.

A key characteristic of the old industry structure – and one that makes what we have today in the competitive generation and retail sectors different – is where demand and investment risks fall and the way they are managed.

It is in fact how these risks are allocated between consumers and businesses that determines whether ‘what we have’ deserves to be called a market at all.

Numerous reports and reviews dating back to the 1986 McDonell and 1988 Curran inquiries in NSW, through to the Western Australian Economic Regulatory Authorities’ report on that State’s wholesale electricity market published last year, show that wherever you have a central authority determining how the sector is to develop – how much investment is to occur – how much capacity is to be built or procured based on fallible forecasts of the future – the costs of getting these decisions wrong rests with consumers.

For the future of the sector to be driven by consumers deciding what is of value to them, one of the prerequisites is that demand and investment risks are managed by businesses, operating in a workably competitive market.

You don’t need to believe – though you may choose to – that people making investment decisions based on forecasts of the future working within an AGL or Origin or Alinta, are any better at foretelling the future than people – possibly the same people – working within a central authority. The point is the risk allocation, the way it’s managed and the associated incentives are different.

We have come a long way but there is, of course, work to be done.

We have clearly commenced a new stage where the NEM’s development is driven by consumers making choices about the way they source and use energy.

The measures set out in the Commission’s Power of Choice reform package, and the reviews of retail competition, which included proposals to address the way distribution tariffs are structured that are now at the Draft Rule stage, are about facilitating consumers move from the “back seat” to the “driver’s seat” – giving them better information and tools to make informed choices about their energy consumption.

A key question though is will they find it a comfortable seat and a pleasant experience?

Consumers – that is, people – need to be as comfortable making choices about energy as they are picking items off the supermarket shelf.

When you think about the process of choosing products at a supermarket, a consumer is able to scan a shelf, run their eye past the Tim Tams, the Iced Vovos, the Mint Slices (a personal favourite), the Scotch Fingers, and all the while weighing up taste, quality, price, your attempt to be virtuous with respect to diet. And pretty quickly narrowing it down to a couple of options – the Iced Vovos and the Mint Slices – and buy both.

Granted energy is a little more complicated than that, but fundamentally we want to get to a place where consumers are as comfortable making decisions about energy as they are other products and services, where competition and choice is taken for granted.

And to do that people need information; they need tools; they need to be engaged; they need a reason to be engaged; and they need the price they pay for energy to reflect the cost of supplying them, as individuals.

Together, the AEMC’s Power of Choice reforms and the lessons from our reviews of retail competition are key to achieving these objectives.

One of the Power of Choice building blocks is the distribution network pricing rule change, which aims to have network prices paid by individual consumers better reflect the cost of providing network services to them.

Currently, even if the total costs of network services is at efficient levels, many individual consumers pay more than the costs caused by their usage, because of the way network prices are structured. Other consumers, in particular those that use a greater proportion of their energy at peak times, pay less than the costs caused by their usage.

Existing network price structures over-recover for off-peak use of the network and under-recover for peak use. In the draft rule determination, we include a number of case studies to explain this.

By way of example a consumer using an average size north facing solar PV system will save themselves about $200 a year in network charges compared with a similar consumer without solar.

Because most of the solar energy is generated at non-peak times, it reduces the network’s costs by $80, leaving other consumers to make up the $120 shortfall through higher charges.

The same consumer could reduce network costs considerably and align with the savings they receive, by facing their panels west, generating more energy 4 at peak times when it is most needed. That is, less energy in total, but more when it is most valued.

Under the existing network pricing arrangements, the consumer has no incentive to do so as they benefit more by generating more total energy throughout the day.

Equally, a consumer using a large 5kW air-conditioner in peak times will cause about $1,000 a year in additional network costs compared with a similar consumer without an air-conditioner.

But the consumer with the air-conditioner pays about an extra $300 under the most common network prices. The remaining $700 is recovered from all other consumers through higher network charges.

In both examples, some consumers are paying more than it costs to provide services to them, and others less.

The objective of the changes set out in our recent Draft Determination is that network prices paid by individual consumers better reflect the cost of providing network services to them, as individuals.

This will allow consumers to make more informed choices about what energy services they value.

It will also give consumers the information they need to decide what technologies might work best for them to manage their usage, and help reduce their energy charges.

From a market and overall system point of view, it will mean consumers' choices are the driving force behind market development and investment and provide the conditions for a more effective and competitive energy market.

Of course it’s one thing to create the market conditions for choice, but consumers also need the tools to respond to market price signals.

Another important Power of Choice building block is creating opportunities for a competitive energy services market.

It goes without saying that consumers use of technology will be a huge part of the process in driving change and market development in coming years.

We don’t necessarily know which technologies or how they will be used, which is precisely why the Commission’s policy work is agnostic about technological development, but we know they will drive innovation and change and the system must be flexible enough to respond to that change.

The rule change to promote competition in metering and related services; the open access and common communications standards framework for smart meters; arrangements to allow multiple trading relationships at the consumer’s connection point; and measures to improve the switching process – these reforms will all work together to help the energy services market evolve in a way that supports consumer choice.

So how might we predict the future for the National Energy Market?

My advice is to follow the consumer.

They’re in the driving seat and technology is propelling them very quickly in relatively unpredictable ways.

Increasingly, they’re expecting engagement. Not only to be consulted on industry and regulatory activity but to actively participate in the energy market.

So in terms of how the Australian Energy Market Commission sees the energy market of the future, we don’t plan to bet on any single possible future.

Instead, we want a system which is flexible enough to respond to the increasingly sophisticated and diverse demands of consumers, which allows their choices and preferences to drive market development.

But, we won’t get there if we start fiddling with the way energy is bought and sold (the means of exchange) or if there are policy interventions in the market that undermine its operation and the ability of price to reflect underlying demand and supply conditions.

So let’s talk about capacity (so called) “markets”.

There has been increased chatter in recent times suggesting that there may be a case for a fundamental redesign of the wholesale energy market – a move to a capacity (so called) “market”.

This, at least in part, appears to be motivated by the current disconnect between wholesale and retail prices and generation oversupply.

The WA energy market is a good local example of the problem with capacity markets and the WA Government is currently grappling with what to do about the problems they cause – predominantly higher risk and generally higher prices for consumers.

The WEM is typical of other capacity markets in that it relies on a central authority to predict and procure generation capacity.

If your system requires an omnipresent, all knowing being – let’s call him or her ‘god’ – to understand a system completely, have perfect powers of prediction and to know what capacity should be set to match future demand, the only thing you can perfectly predict is that god will be wrong.

In reality, typically in capacity markets our omnipresent, perfect bureaucrat will contract or regulate for too much supply, because that is the rational thing to do given the incentives god faces.

And when he or she gets it wrong and over contracts, the consumer pays.

That is certainly the case in WA. It was the case in the “olden days” of the state-based utilities. The consequence of this type of structure is that demand risks fall on consumers.

We’ve well and truly moved away from this era in the NEM – indeed as I’ve spent most of today’s speech talking about, we are headed in exactly the opposite direction.

So the message to those intending to fiddle with the development of a consumer driven energy market and revert to the risk allocation of the old days is a simple one – you are heading in the wrong direction.

Part of the underlying issue here of course, is the impact of bringing together the way the energy market works with the particular way the Renewable Energy Target is designed.

In effect, because the RET sets a specific GWh target, its risk allocation is the same as a capacity (so called) “market”.

These issues of the interface between the two have always been there, but have only become more evident with the drop off in demand growth.

Governments legitimately have a range of policy objectives in addition to the traditional energy policy objectives.

That’s why we have elected governments to specify policy objectives. But in achieving these different objectives we must be careful, wherever possible, not to jeopardise the achievement of one to the benefit of another.

When contemplating the effective integration of energy and environmental policy, it is important to design a mechanism to achieve an emissions reduction objective that preserves the means of exchange and allocation of risk in energy markets. Because these are the characteristics that make the energy market, a “market” in the first place.

For the NEM to be an effective market, it must be able to respond to changes in demand driven by consumer preferences, changes in technology and other factors, like relative prices, which cannot necessarily be predicted.

For a policy to be sustainable there needs to be a reasonable opportunity to adapt to material changes in market conditions, in a consistent manner.

Robust policy positions should not be predicated on one particular view of the future.

For environmental policy like the RET to be sustainable, investors also need a level of confidence that policy objectives can be met and are sufficiently robust to adjust to changes in market conditions.

It is due to the divergence in the risk allocation mechanisms in the energy market on the one hand, and the current RET design on the other, that we proposed, in our submission to the RET review, moving the RET to a floating 20 per cent target in 2020, as opposed to a fixed GWh target.

The important point is not even the level at which the target is set – let’s call the target “X” – it’s that it is “X per cent” of whatever demand happens to be.

This would shift the allocation of demand risk away from consumers and more appropriately share it amongst investors – renewable and thermal – who are better placed to manage such risk and profit from efficient decisions.

While consumers are going to drive much of the change we experience in the energy market in the coming years through their demands and preferences, we also have to make sure the benefits flow to all consumers.

And we must ensure some consumers don’t get lost in the change and the increasing diversification of the sector. This involves a massive communications challenge.

In May this year, the Commission held its first strategic priorities forum with consumer representatives in order to deepen our relationships with consumers and their advocates as we consider the agenda ahead of us.

Consumer engagement was right at the top of the list of issues we are dealing with, particularly ensuring they having full information about contracts, offers and changes related to new flexible pricing structures.

Equally significant to consumer groups was the impact of energy prices, along with the importance of consumer protections, particularly those that support more vulnerable and low income consumers.

So we need to be able to respond to those concerns about ensuring all consumers benefit from greater competition, and respond to concerns about the necessary consumer protections needed into the future.

Many consumers need the information and confidence to become more engaged in shopping for energy. Our Consumer Engagement Blueprint for the review of competition in NSW energy retail markets recommended strategies to achieve this, including:

  • providing information to consumers that uses different channels to target specific consumer segments as well as the broader community,
  • refinements to existing comparison tools so that consumers have a trusted source of advice that allows ‘apples for apples’ comparisons, many of which are already being considered by the AER, and
  • providing additional support to consumers that need it.

And many of these reforms are being rolled out with some good results.

For example, it was encouraging to see in our recent report on competition in retail electricity and gas markets that 90 per cent of all consumers were aware they could choose their energy company, up to 40 per cent had actively investigated options, and up to 28 per cent had actually switched during 2013.

Consumers are shopping around for better gas and electricity deals more often than they are switching insurance companies, or phone and internet providers.

New retailers are entering markets and winning customers with discounts and other incentives, with conservative estimates of savings from $60 to $240 or more a year, depending on where they live and how much electricity they use.

The other aspect of the communications challenge is to understand that there are an increasing number of already engaged consumers – energy literate consumers – who want an entirely different energy product compared with what has been provided to them in the past.

So as we embrace the challenge of responding to diverse needs – from highly energy literate consumers, to more traditional consumers, to vulnerable consumers – it will be important to have a market that is flexible and able to respond to diversity and range of possible future scenarios.

In the years to come, the structure of the energy sector may be quite different to the one we see today.

The increased interest of new technology providers in our sector has the potential to reshape the way we think of an energy services provider.

The increased use of electric cars, the uptake of home energy management systems and technologies, and other possible demand game changers, which may work in completely opposite directions.

All this has the potential to change the face of the energy sector.

The focus of the AEMC – the agnostic AEMC – is to care deeply about the future and develop the NEM into a market that is flexible and able to respond to whatever the future holds.

Thank you for listening and enjoy what promises to be a fascinating day’s discussion.

ENDS

A consumer driven market

19 September 2014

SPEECH BY COMMISSIONER JOHN PIERCE AT 2014 NEM FUTURE FORUM

A consumer driven market: the next chapter in a national productivity improvement story

19 September 2014

DOWNLOAD PDF VERSION

Thank you for being here today to discuss the future of the National Electricity Market.

Before we begin, I’d like to acknowledge the traditional owners of the land on which we meet and pay my respects to their elders both past and present. I’d also like to acknowledge:

  • Keith Orchison, our Chair today, and
  • All our other speakers.

I’ve been asked to speak about where the national energy market is now, and where it’s headed in the future.

As a Commission, we are in a sense quite agnostic about the future. We are not in the business of making forecasts of demand, prices, relative costs and technologies.

In performing our role, we don’t need to, because ultimately it will be consumers doing what consumers do – making consumption decisions based on the price and service options available to them – that will drive the way the sector develops.

But where we are now?

The National Electricity Market has been on a fairly consistent reform path over the past 25 years or so.

I don’t intend to give a history lesson today, but briefly: the reform of the energy sector was part of a major period of economic reform kicked off in the 80s, which included reforming a set of capital intensive utility services such as energy, communications, transport and water, whose performance was not supporting long term economic growth to the extent that it could.

These assets were state owned, centrally organised and monopolistic.

Since then, the story in our sector has been one of separating policy and regulatory functions from industry; industry restructuring; and bringing competition to the sector.

A key characteristic of the old industry structure – and one that makes what we have today in the competitive generation and retail sectors different – is where demand and investment risks fall and the way they are managed.

It is in fact how these risks are allocated between consumers and businesses that determines whether ‘what we have’ deserves to be called a market at all.

Numerous reports and reviews dating back to the 1986 McDonell and 1988 Curran inquiries in NSW, through to the Western Australian Economic Regulatory Authorities’ report on that State’s wholesale electricity market published last year, show that wherever you have a central authority determining how the sector is to develop – how much investment is to occur – how much capacity is to be built or procured based on fallible forecasts of the future – the costs of getting these decisions wrong rests with consumers.

For the future of the sector to be driven by consumers deciding what is of value to them, one of the prerequisites is that demand and investment risks are managed by businesses, operating in a workably competitive market.

You don’t need to believe – though you may choose to – that people making investment decisions based on forecasts of the future working within an AGL or Origin or Alinta, are any better at foretelling the future than people – possibly the same people – working within a central authority. The point is the risk allocation, the way it’s managed and the associated incentives are different.

We have come a long way but there is, of course, work to be done.

We have clearly commenced a new stage where the NEM’s development is driven by consumers making choices about the way they source and use energy.

The measures set out in the Commission’s Power of Choice reform package, and the reviews of retail competition, which included proposals to address the way distribution tariffs are structured that are now at the Draft Rule stage, are about facilitating consumers move from the “back seat” to the “driver’s seat” – giving them better information and tools to make informed choices about their energy consumption.

A key question though is will they find it a comfortable seat and a pleasant experience?

Consumers – that is, people – need to be as comfortable making choices about energy as they are picking items off the supermarket shelf.

When you think about the process of choosing products at a supermarket, a consumer is able to scan a shelf, run their eye past the Tim Tams, the Iced Vovos, the Mint Slices (a personal favourite), the Scotch Fingers, and all the while weighing up taste, quality, price, your attempt to be virtuous with respect to diet. And pretty quickly narrowing it down to a couple of options – the Iced Vovos and the Mint Slices – and buy both.

Granted energy is a little more complicated than that, but fundamentally we want to get to a place where consumers are as comfortable making decisions about energy as they are other products and services, where competition and choice is taken for granted.

And to do that people need information; they need tools; they need to be engaged; they need a reason to be engaged; and they need the price they pay for energy to reflect the cost of supplying them, as individuals.

Together, the AEMC’s Power of Choice reforms and the lessons from our reviews of retail competition are key to achieving these objectives.

One of the Power of Choice building blocks is the distribution network pricing rule change, which aims to have network prices paid by individual consumers better reflect the cost of providing network services to them.

Currently, even if the total costs of network services is at efficient levels, many individual consumers pay more than the costs caused by their usage, because of the way network prices are structured. Other consumers, in particular those that use a greater proportion of their energy at peak times, pay less than the costs caused by their usage.

Existing network price structures over-recover for off-peak use of the network and under-recover for peak use. In the draft rule determination, we include a number of case studies to explain this.

By way of example a consumer using an average size north facing solar PV system will save themselves about $200 a year in network charges compared with a similar consumer without solar.

Because most of the solar energy is generated at non-peak times, it reduces the network’s costs by $80, leaving other consumers to make up the $120 shortfall through higher charges.

The same consumer could reduce network costs considerably and align with the savings they receive, by facing their panels west, generating more energy 4 at peak times when it is most needed. That is, less energy in total, but more when it is most valued.

Under the existing network pricing arrangements, the consumer has no incentive to do so as they benefit more by generating more total energy throughout the day.

Equally, a consumer using a large 5kW air-conditioner in peak times will cause about $1,000 a year in additional network costs compared with a similar consumer without an air-conditioner.

But the consumer with the air-conditioner pays about an extra $300 under the most common network prices. The remaining $700 is recovered from all other consumers through higher network charges.

In both examples, some consumers are paying more than it costs to provide services to them, and others less.

The objective of the changes set out in our recent Draft Determination is that network prices paid by individual consumers better reflect the cost of providing network services to them, as individuals.

This will allow consumers to make more informed choices about what energy services they value.

It will also give consumers the information they need to decide what technologies might work best for them to manage their usage, and help reduce their energy charges.

From a market and overall system point of view, it will mean consumers' choices are the driving force behind market development and investment and provide the conditions for a more effective and competitive energy market.

Of course it’s one thing to create the market conditions for choice, but consumers also need the tools to respond to market price signals.

Another important Power of Choice building block is creating opportunities for a competitive energy services market.

It goes without saying that consumers use of technology will be a huge part of the process in driving change and market development in coming years.

We don’t necessarily know which technologies or how they will be used, which is precisely why the Commission’s policy work is agnostic about technological development, but we know they will drive innovation and change and the system must be flexible enough to respond to that change.

The rule change to promote competition in metering and related services; the open access and common communications standards framework for smart meters; arrangements to allow multiple trading relationships at the consumer’s connection point; and measures to improve the switching process – these reforms will all work together to help the energy services market evolve in a way that supports consumer choice.

So how might we predict the future for the National Energy Market?

My advice is to follow the consumer.

They’re in the driving seat and technology is propelling them very quickly in relatively unpredictable ways.

Increasingly, they’re expecting engagement. Not only to be consulted on industry and regulatory activity but to actively participate in the energy market.

So in terms of how the Australian Energy Market Commission sees the energy market of the future, we don’t plan to bet on any single possible future.

Instead, we want a system which is flexible enough to respond to the increasingly sophisticated and diverse demands of consumers, which allows their choices and preferences to drive market development.

But, we won’t get there if we start fiddling with the way energy is bought and sold (the means of exchange) or if there are policy interventions in the market that undermine its operation and the ability of price to reflect underlying demand and supply conditions.

So let’s talk about capacity (so called) “markets”.

There has been increased chatter in recent times suggesting that there may be a case for a fundamental redesign of the wholesale energy market – a move to a capacity (so called) “market”.

This, at least in part, appears to be motivated by the current disconnect between wholesale and retail prices and generation oversupply.

The WA energy market is a good local example of the problem with capacity markets and the WA Government is currently grappling with what to do about the problems they cause – predominantly higher risk and generally higher prices for consumers.

The WEM is typical of other capacity markets in that it relies on a central authority to predict and procure generation capacity.

If your system requires an omnipresent, all knowing being – let’s call him or her ‘god’ – to understand a system completely, have perfect powers of prediction and to know what capacity should be set to match future demand, the only thing you can perfectly predict is that god will be wrong.

In reality, typically in capacity markets our omnipresent, perfect bureaucrat will contract or regulate for too much supply, because that is the rational thing to do given the incentives god faces.

And when he or she gets it wrong and over contracts, the consumer pays.

That is certainly the case in WA. It was the case in the “olden days” of the state-based utilities. The consequence of this type of structure is that demand risks fall on consumers.

We’ve well and truly moved away from this era in the NEM – indeed as I’ve spent most of today’s speech talking about, we are headed in exactly the opposite direction.

So the message to those intending to fiddle with the development of a consumer driven energy market and revert to the risk allocation of the old days is a simple one – you are heading in the wrong direction.

Part of the underlying issue here of course, is the impact of bringing together the way the energy market works with the particular way the Renewable Energy Target is designed.

In effect, because the RET sets a specific GWh target, its risk allocation is the same as a capacity (so called) “market”.

These issues of the interface between the two have always been there, but have only become more evident with the drop off in demand growth.

Governments legitimately have a range of policy objectives in addition to the traditional energy policy objectives.

That’s why we have elected governments to specify policy objectives. But in achieving these different objectives we must be careful, wherever possible, not to jeopardise the achievement of one to the benefit of another.

When contemplating the effective integration of energy and environmental policy, it is important to design a mechanism to achieve an emissions reduction objective that preserves the means of exchange and allocation of risk in energy markets. Because these are the characteristics that make the energy market, a “market” in the first place.

For the NEM to be an effective market, it must be able to respond to changes in demand driven by consumer preferences, changes in technology and other factors, like relative prices, which cannot necessarily be predicted.

For a policy to be sustainable there needs to be a reasonable opportunity to adapt to material changes in market conditions, in a consistent manner.

Robust policy positions should not be predicated on one particular view of the future.

For environmental policy like the RET to be sustainable, investors also need a level of confidence that policy objectives can be met and are sufficiently robust to adjust to changes in market conditions.

It is due to the divergence in the risk allocation mechanisms in the energy market on the one hand, and the current RET design on the other, that we proposed, in our submission to the RET review, moving the RET to a floating 20 per cent target in 2020, as opposed to a fixed GWh target.

The important point is not even the level at which the target is set – let’s call the target “X” – it’s that it is “X per cent” of whatever demand happens to be.

This would shift the allocation of demand risk away from consumers and more appropriately share it amongst investors – renewable and thermal – who are better placed to manage such risk and profit from efficient decisions.

While consumers are going to drive much of the change we experience in the energy market in the coming years through their demands and preferences, we also have to make sure the benefits flow to all consumers.

And we must ensure some consumers don’t get lost in the change and the increasing diversification of the sector. This involves a massive communications challenge.

In May this year, the Commission held its first strategic priorities forum with consumer representatives in order to deepen our relationships with consumers and their advocates as we consider the agenda ahead of us.

Consumer engagement was right at the top of the list of issues we are dealing with, particularly ensuring they having full information about contracts, offers and changes related to new flexible pricing structures.

Equally significant to consumer groups was the impact of energy prices, along with the importance of consumer protections, particularly those that support more vulnerable and low income consumers.

So we need to be able to respond to those concerns about ensuring all consumers benefit from greater competition, and respond to concerns about the necessary consumer protections needed into the future.

Many consumers need the information and confidence to become more engaged in shopping for energy. Our Consumer Engagement Blueprint for the review of competition in NSW energy retail markets recommended strategies to achieve this, including:

  • providing information to consumers that uses different channels to target specific consumer segments as well as the broader community,
  • refinements to existing comparison tools so that consumers have a trusted source of advice that allows ‘apples for apples’ comparisons, many of which are already being considered by the AER, and
  • providing additional support to consumers that need it.

And many of these reforms are being rolled out with some good results.

For example, it was encouraging to see in our recent report on competition in retail electricity and gas markets that 90 per cent of all consumers were aware they could choose their energy company, up to 40 per cent had actively investigated options, and up to 28 per cent had actually switched during 2013.

Consumers are shopping around for better gas and electricity deals more often than they are switching insurance companies, or phone and internet providers.

New retailers are entering markets and winning customers with discounts and other incentives, with conservative estimates of savings from $60 to $240 or more a year, depending on where they live and how much electricity they use.

The other aspect of the communications challenge is to understand that there are an increasing number of already engaged consumers – energy literate consumers – who want an entirely different energy product compared with what has been provided to them in the past.

So as we embrace the challenge of responding to diverse needs – from highly energy literate consumers, to more traditional consumers, to vulnerable consumers – it will be important to have a market that is flexible and able to respond to diversity and range of possible future scenarios.

In the years to come, the structure of the energy sector may be quite different to the one we see today.

The increased interest of new technology providers in our sector has the potential to reshape the way we think of an energy services provider.

The increased use of electric cars, the uptake of home energy management systems and technologies, and other possible demand game changers, which may work in completely opposite directions.

All this has the potential to change the face of the energy sector.

The focus of the AEMC – the agnostic AEMC – is to care deeply about the future and develop the NEM into a market that is flexible and able to respond to whatever the future holds.

Thank you for listening and enjoy what promises to be a fascinating day’s discussion.

ENDS

Subscribe to Market Development