Order No. 86785 - Case Nos. 9153-9157, 9362
Transcription
Order No. 86785 - Case Nos. 9153-9157, 9362
ML 162253 ORDER NO. 86785 IN THE MATTER OF POTOMAC EDISON COMPANY D/B/A ALLEGHENY POWER’S ENERGY EFFICIENCY, CONSERVATION AND DEMAND RESPONSE PROGRAMS PURSUANT TO THE EMPOWER MARYLAND ENERGY EFFICIENCY ACT OF 2008 _______________________________________ IN THE MATTER OF BALTIMORE GAS AND ELECTRIC COMPANY’S ENERGY EFFICIENCY, CONSERVATION AND DEMAND RESPONSE PROGRAMS PURSUANT TO THE EMPOWER MARYLAND ENERGY EFFICIENCY ACT OF 2008 _______________________________________ IN THE MATTER OF POTOMAC ELECTRIC POWER COMPANY’S ENERGY EFFICIENCY, CONSERVATION AND DEMAND RESPONSE PROGRAMS PURSUANT TO THE EMPOWER MARYLAND ENERGY EFFICIENCY ACT OF 2008 _______________________________________ IN THE MATTER OF DELMARVA POWER & LIGHT COMPANY’S ENERGY EFFICIENCY, CONSERVATION AND DEMAND RESPONSE PROGRAMS PURSUANT TO THE EMPOWER MARYLAND ENERGY EFFICIENCY ACT OF 2008 _______________________________________ IN THE MATTER OF SOUTHERN MARYLAND ELECTRIC COOPERATIVE, INC.’S ENERGY EFFICIENCY, CONSERVATION AND DEMAND RESPONSE PROGRAMS PURSUANT TO THE EMPOWER MARYLAND ENERGY EFFICIENCY ACT OF 2008 _______________________________________ IN THE MATTER OF WASHINGTON GAS LIGHT COMPANY’S ENERGY EFFICIENCY, CONSERVATION AND DEMAND RESPONSE PROGRAMS PURSUANT TO THE EMPOWER MARYLAND ENERGY EFFICIENCY ACT OF 2008 * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * * BEFORE THE PUBLIC SERVICE COMMISSION OF MARYLAND ______________ CASE NO. 9153 ______________ ______________ CASE NO. 9154 ______________ ______________ CASE NO. 9155 ______________ ______________ CASE NO. 9156 ______________ ______________ CASE NO. 9157 ______________ _____________ CASE NO. 9362 ______________ Issue Date: December 23, 2014 1 For more than fifteen years, the Maryland Public Service Commission has been tasked with a statutory duty to “require each gas company and electric company to establish any program or service that the Commission deems appropriate and cost effective to encourage and promote the efficient use and conservation of energy.”1 In recognition that energy efficiency is among the least expensive ways to meet the growing electricity demands of the State, the Maryland General Assembly passed legislation to meet specific energy efficiency, conservation, and demand response targets by the end of 2015, culminating in the EmPOWER Maryland Energy Efficiency Act of 2008 (“EmPOWER”).2 In accordance with the EmPOWER Act, the affected Maryland electric companies submitted proposals on or before September 2, 2014 designed to achieve electricity and demand savings for the subsequent three calendar years.3 In this Order, the Public Service Commission of Maryland (the “Commission”) authorizes Baltimore Gas and Electric Company (“BGE”), the Potomac Edison Company (“PE”), Potomac Electric Power Company (“Pepco”), Delmarva Power & Light Company (“DPL”), and Southern Maryland Electric Cooperative, Inc. (“SMECO” or the “Cooperative”) to begin transitioning into the next three-year program cycle of the EmPOWER Maryland Energy Efficiency Act of 2008. The Commission also authorizes the Maryland Department of Housing and Community Development (“DHCD”) to continue its implementation of the EmPOWER Maryland limited-income programs in calendar year 2015, as modified herein. Furthermore, the Commission grants the 1 See Md. Laws of 1998, ch. 8 § 2, (re-codifying the quoted language as Public Utilities Article § 7211(B)(1)). 2 Public Utilities Article (“PUA”) §7-211. 3 PUA §7-211(h)(2). 2 application of Washington Gas Light Company (“WGL”) for approval of its natural gas energy efficiency and conservation program as modified herein, as well as the accompanying cost recovery mechanism. On October 20 – 24, 2014, the Commission held a legislative-style hearing in the above-captioned cases to review, among other matters, the 2015 – 2017 EmPOWER Maryland proposals filed by BGE,4 PE,5 Pepco,6 DPL,7 SMECO,8 and WGL9 (collectively, the “Utilities”), as well as DHCD.10 The Commission also reviewed the comments filed by its Technical Staff (“Staff”);11 the Office of People’s Counsel 4 ML#158042: Baltimore Gas and Electric Company EmPOWER Maryland Program Filing for 2015 2017 (“BGE Proposal”) (Aug. 28, 2014); ML#158521: Errata to BGE’s 2015 – 17 EmPOWER Maryland Program Plan (“BGE Proposal Errata”) (Sept. 12, 2014). 5 ML#158100: The Potomac Edison Company – Energy Efficiency and Conservation Plan January 1, 2015 through December 31, 2017 (“PE Proposal”) (Sept. 2, 2014); ML#159205: Comments on EmPOWER Maryland Filings (“PE Comments”) (Oct. 3, 2014). 6 ML# 158117: Potomac Electric Power Company EmPOWER Maryland 2015-2017 Plan (“Pepco Proposal”) (Sept. 2, 2014); ML#158332: Potomac Electric Power Company 2015-2017 EmPOWER Maryland Plan Errata (“Pepco Proposal Errata”) (Sept. 5, 2014). 7 ML#158119: Delmarva Power & Light Company EmPOWER Maryland 2015-2017 Plan (“DPL Proposal”) (Sept. 2, 2014); ML#158333: Delmarva Power & Light Company EmPOWER Maryland 20152017 Plan Errata (“DPL Proposal Errata) (Sept. 5, 2014). 8 ML#158132: Southern Maryland Electric Cooperative, Inc.’s 2015 – 2017 EmPOWER Maryland Plan (“SMECO Proposal”) (Sept. 2, 2014); ML#158441: Southern Maryland Electric Cooperative, Inc.’s 2015 – 2017 EmPOWER Maryland Plan Errata (“SMECO Proposal Errata”) (Sept. 9, 2014). 9 ML#158098: Application of Washington Gas Light Company for Approval of Energy Efficiency and Conservation Programs (“WGL Proposal”) (Aug. 29, 2014); ML#159523: Washington Gas Light Company’s Response to Comments (“WGL Comments”) (Oct. 15, 2014); ML#159952: Application of Washington Gas Light Company for Approval of Energy Efficiency and Conservation Programs Addendum (“WGL Proposal Addendum”) (Nov. 3, 2014). 10 ML#158140: Maryland Department of Housing and Community Development EmPOWER Low Income Energy Efficiency Program 2015 – 2017 Proposal (“DHCD LIEEP Proposal”) (Sept. 2, 2014); ML#158207: DHCD Plan for 2015 – 2017 EmPOWER Maryland Limited Income Energy Efficiency Program Errata (“DHCD Sept. 2nd Errata”) (Sept. 2, 2014); ML#158679: DHCD’s EmPOWER 2015-17 Low Income Energy Efficiency Programs Proposal Errata (“DHCD Sept. 16th Errata”) (Sept. 16, 2014). 11 ML#159240: Staff Comments (Oct 3, 2014); ML#159573: Staff Errata Comments (Oct. 17, 2014); ML#159232: Comments of the Public Service Commission Staff – Washington Gas Light Company 2015 – 2017 EmPOWER Maryland Plan (“Staff’s WGL Comments”) (Oct. 3, 2014); ML#159238: Comments of the Public Service Commission Staff – Maryland Department of Housing and Community Development 2015 – 2017 Plan Proposal (“Staff’s DHCD Comments”) (Oct. 3, 2014). 3 (“OPC”);12 the Maryland Energy Administration (“MEA”);13 the Western Maryland Municipals;14 the Coalition of Maryland Energy Efficiency Advocates;15 Aegis Energy Services, Inc.;16 Bluestone Energy Services;17 EnSave, Inc.;18 Efficiency First;19 the National Housing Trust, Natural Resources Defense Council, and National Consumer Law Center (“NHT/NRDC/NCLC”);20 the Maryland Alliance for Fair Competition and the Air Conditioning Contractors of America, Central Maryland Chapter (“the Alliance”);21 Civic Works, Inc.;22 and the U.S. Department of Energy (“DOE”).23 In this Order, we address the requests made in filings and at the semi-annual hearing related to the 2015 – 2017 program cycle proposals; future orders will follow, as necessary. Today we approve many of the proposals pending before us, and accordingly, 12 ML#159246: Office of People’s Counsel Comments on EmPOWER Maryland (“OPC Comments”) (Oct. 3, 2014); ML#159546: Errata to OPC Comments (“OPC Errata Comments”) (Oct. 16, 2014); ML#158137: Comments and Recommendations of the Office of People’s Counsel Regarding EmPOWER Maryland LowIncome Programs (“OPC LIEEP Comments”) (Sept. 2, 2014). 13 ML#159239: Maryland Energy Administration Comments on the Utilities’ EmPOWER Maryland 201517 Plans (“MEA 2015-2017 Proposal Comments”) (Oct. 3, 2014); ML#158129: Maryland Energy Administration Policy and Program Recommendations (“MEA Recommendations”) (Sept. 2, 2014); ML#159403: Maryland Energy Administration Comments on Washington Gas Light Company (“MEA’s WGL Comments”) (Oct. 14, 2014). 14 ML#159222: Response to EmPOWER Program Proposed Policy Change (“Western MD Municipals Comments”) (Oct. 3, 2014). 15 ML#159282: Comments of the Coalition of Maryland Energy Efficiency Advocates—Correction Color Version (“Coalition Comments”) (Oct. 8, 2014). 16 ML#159084: Comments on 1st 2014 Semi-Annual Reports and 2015 Plans for EmPOWER Maryland (“Aegis Comments”) (Oct. 1, 2014). 17 ML#159207: Comments (“Bluestone Comments”) (Oct. 3, 2014). 18 ML#159209: Comments (“EnSave Comments”) (Oct. 3, 2014). 19 ML#159076: Efficiency First Maryland Comments in support of the residential retrofit industry in Maryland (“Efficiency First Comments”) (Oct. 1, 2014). 20 ML#159215: National Housing Trust, Natural Resources Defense Council, and National Consumer Law Center Comments on EmPOWER Maryland Programs (“NHT/NRDC/NCLC Comments”) (Oct. 3, 2014). 21 ML#159247: Maryland Alliance for Fair Competition and the Air Conditioning Contractors of America, Central Maryland Chapter Comments (“Alliance 2015-2017 Proposal Comments”) (Oct. 3, 2014); ML#158754: Maryland Alliance for Fair Competition Petition to Change Rebate Criteria for Whole Home Duct Sealing (“Alliance Petition”) (Sept. 19, 2014); ML#158139: Maryland Alliance for Fair Competition Letter regarding the Commission’s Order No. 86366 relating to natural gas boiler rebate program (“Alliance Natural Gas Boiler Rebate Comments”) (Sept. 2, 2014); ML#158443: Maryland Alliance for Fair Competition Comments on Staff Summary Report (“Alliance Comments on Staff Report”) (Sept. 9, 2014). 22 ML#159206: Comments (“Civic Works Comments”) (Oct. 3, 2014). 23 ML#159202: Comments (“DOE Comments”) (Oct. 3, 2014). 4 we direct the Utilities and DHCD to continue effectively and aggressively executing their programs. We also direct the Utilities and DHCD to make related compliance filings, including tariff pages and surcharge provisions, consistent with this Order. 2015 – 2017 Program Cycle Proposals Subject to the modifications and terms discussed in this Order, we approve the Utilities’ proposals to continue the core EmPOWER programs into the next program cycle.24 We also approve several new programs, pilots, and enhancements to the suite of EmPOWER Maryland portfolios, including the approval, with certain modifications, of WGL’s application to implement natural gas energy efficiency and conservation (“EE&C”) programs throughout its service territory. Moving into this next program cycle, we look forward to and encourage additional innovation in EmPOWER program offerings, and expect the Utilities to take full advantage of the new program investigation, design, and development (“PIDD”) budgets earmarked in the 2015 – 2017 proposals. Electric Energy Efficiency and Conservation Programs Residential Lighting Program Across the Utilities, the 2015 – 2017 program cycle Total Resource Cost (“TRC”) of the Residential Lighting Program is projected to average 4.37, demonstrating the continued cost effectiveness of this Program.25 While we approve the Residential Lighting Program for all Utilities as proposed, we acknowledge the recommendation by 24 As these core programs are both well-established and well-documented, we focus the discussion in this Order largely on new programs, pilots, or modifications to existing programs. 25 Staff Comments at 47. 5 Staff that as the lighting efficiency baseline increases, it will be necessary to evaluate whether it is appropriate to continue incentivizing compact fluorescent light bulbs (“CFLs”), and if so, at what funding level. To prepare for this review, we direct the Utilities to begin including information in their quarterly reports to Staff indicating the price differential between specialty CFLs and light-emitting diode light bulbs (“LEDs”) across their service territories. We also direct the EmPOWER Work Group to consider the current incentive structure for standard and specialized CFLs, and to submit their findings and any recommended modifications in a report filed with the Commission no later than April 15, 2015. Residential Appliance Rebate Program While the Residential Appliance Rebate Program exceeded participation forecasts during the previous program cycle across the Utilities, the Program struggled with energy savings and effectiveness. In response, the Utilities presented proposals for the upcoming program cycle focused on higher-tiered appliances, albeit with varying ideas about which measures to incentivize.26 Based on our established policy to standardize EmPOWER programs statewide when possible, we approve the following appliance rebate offerings and corresponding incentive amounts for the Appliance Rebate Program implemented by BGE, DPL, Pepco, PE, and SMECO. Measure Heat Pump Water Heater Refrigerator - CEE Tier 2 Refrigerator - CEE Tier 3 Clothes Washer - CEE Tier 2 Clothers Washer - CEE Tier 3 26 Incentive Amount Measure $ 500 Clothes Dryer $ 100 Room A/C Unit - CEE Tier 2 $ 150 Pool Pump (2 speed) $ 75 Pool Pump (variable speed) $ 100 Id. at 49. 6 Incentive Amount $ 50 $ 30 $ 150 $ 400 As an additional means by which to realize deeper energy savings for the Program, BGE, DPL, Pepco, and SMECO proposed a limited-time 10% increase in the heat pump water heater rebate, to be offered during 3 annual promotional periods of approximately 6 weeks each. We approve this inventive approach and direct all of the Utilities to implement this promotional incentive of $550 for heat pump water heaters as described in the Utilities’ filings.27 The Utilities should communicate with stakeholders and coordinate the appropriate timing of the 3 annual promotional periods, and consider designing the Program to overlap with statewide tax-free holidays. Depending on the success of this promotional incentive offering, we encourage the Utilities to investigate comparable opportunities for all eligible appliance measures. In addition to the large measure appliance rebates offered by all Utilities, SMECO proposed to supplement its Residential Appliance Rebate Program by introducing an online appliance rebate application (consistent with the other Utilities). SMECO also proposed to establish an online store to facilitate the purchase of smaller energy efficiency products.28 We approve both program modifications proposed by SMECO, and will look to the Cooperative and Staff for comments on lessons learned regarding the online store, before we consider this modification for other service territories. Residential Appliance Recycling Program The Residential Appliance Recycling Program achieved higher energy savings than projected, which contributed to the Program outpacing the Appliance Rebate 27 As noted by Staff, PE did not include the promotional incentive for heat pump water heater rebates in its proposal. See Staff Comments at 48. In keeping with our principle of standardization, we direct PE to participate in the promotional incentive offering described by the other Utilities. 28 Staff Comments at 49. 7 Program during the 2012 – 2014 program cycle.29 Due to this demonstrated success, we approve the continuation of the Appliance Recycling Program through the 2015 – 2017 program cycle for all Utilities. We also approve expansion of the Program across all Utilities to include a $25 rebate for the recycling of inefficient dehumidifiers that are picked up by the Utility in conjunction with a larger unit, or are collected during a special event.30 While SMECO participated in the program expansion proposal approved above, the Cooperative also proposed an alternative to the cash recycling rebate in the form of a voucher for use in its online store initiative. We also approve this initiative and commend SMECO’s innovation. In order to evaluate whether this approach should be expanded to other service territories, we direct SMECO to track participation in its voucher program according to measure, date of issuance, and rate of redemption. Residential Quick Home Energy Check-up Program As discussed above, the lighting efficiency baseline is increasing, which will ultimately reach a level at which EmPOWER dollars are no longer appropriate to fund the current lighting programs - particularly those concentrated on CFL offerings. Due to the success of the Residential Quick Home Energy Check-up (“QHEC”) Program in achieving impressive participation metrics,31 we note that this Program presents a unique opportunity to accelerate the lighting market transition by introducing households to 29 Id. at 51. Given the potential interdependency of these two programs and the historic success of the recycling program compared to the rebate program, we encourage the stakeholders to investigate companion marketing, especially in the context of special events. 30 See, e.g. BGE Proposal at 40. The Utilities and Staff should alert us if the administrative costs associated with maintaining an appliance recycling rebate for dehumidifiers or room air conditioners outweighs the benefits of the measures’ inclusion. 31 Staff Comments at 53-56. 8 higher energy-saving, albeit more costly, LED bulbs. We therefore direct the Utilities to include LEDs as an eligible QHEC measure as soon as practicable. In recognition of the higher cost of LEDs, we find that customers should be eligible to receive 1 LED bulb in addition to up to 12 total CFLs as part of the QHEC Program. We note, however, that the Utilities should investigate the feasibility and cost effectiveness of offering a greater number of LEDs in lieu of CFLs as an eligible QHEC measure and report back to us no later than April 15, 2015 with their findings. Subject to the modification that LEDs are to be offered as an eligible QHEC measure, we approve the Residential QHEC Program as proposed by BGE, DPL, Pepco, and SMECO for the 2015 – 2017 program cycle. We also approve the Residential QHEC Program proposed by PE, with the caveat that PE is directed to offer the full complement of QHEC measures envisioned by the other four Utilities in addition to the LEDs.32 Residential Home Performance with Energy Star Program In recent quarters, the Residential Home Performance with Energy Star (“HPwES”) Program has gained some momentum across the Utilities’ service territories, although we suspect the Program has yet to realize its full potential. While we appreciate the Utilities’ attempt to address cost-effectiveness concerns associated with this Program through a proposed increase in the required savings-to-investment (“SIR”) ratio, we deny this proposal given the likely unintended consequences cited by Staff in regard to the accessibility of the Program.33 We do, however, authorize the continuation of the HPwES Program across all of the Utilities through the 2015 – 2017 program cycle and 32 33 See Staff Comments at 53, Table 37: QHEC Measures. Id. at 57. 9 remain optimistic about the Program’s holistic approach to energy savings.34 We acknowledge that one issue likely preventing the HPwES Program from more effective performance is the conversion rates between audits and completed jobs, especially in the SMECO service territory.35 To this end, we received a thoughtful proposal by Civic Works suggesting that the Utilities pursue formal marketing partnerships with community-based organizations as a means to cost effectively grow program participation and to maximize conversion rates.36 We found this proposal intriguing and innovative, but find it could benefit from further consideration by the EmPOWER Work Group and through direct discussions with the Utilities. We therefore deny, without prejudice, the Civic Works proposed program in which the utilities would establish partnerships through a request for proposals and ultimately award performancebased contracts to community-based organizations to conduct HPwES marketing for the Utilities. We look forward to hearing a more fully vetted version of this proposal, as appropriate. As for other proposed changes to the HPwES Program, we deny the request made by some parties to reverse our prior decision directing the Utilities to immediately shift the duct sealing measure into their HPwES Programs.37 We concur with the Alliance that the Utilities inappropriately applied a SIR requirement to this individual measure within 34 Given that we deny the proposed SIR increase, the Utilities should revisit the appropriateness of their filed HPwES program forecasts for the 2015 – 2017 program cycle and consider whether to provide updated forecasts aligning savings per project and number of projects in conjunction with their next semiannual filing. In the absence of such a re-filing, the Utilities are bound by the budgets and metrics included in the 2015 – 2017 proposals cited herein. 35 Staff Comments at 144. 36 Civic Works Comments. Commissioner Anne E. Hoskins abstains from the determination related to the Civic Works proposal. 37 See Order No. 86366 (May 28, 2014) at 15. 10 the whole house HPwES Program. The Beacon software used by the Utilities cannot properly account for the energy savings associated with whole house duct sealing.38 Therefore, we affirm our earlier decision to define duct sealing as an eligible HPwES measure and direct the Utilities to exempt whole house duct sealing from the SIR requirement. Additionally, we find that it is appropriate to increase the HPwES incentive cap to $2,500 in the event that a customer elects to perform whole house duct sealing, given the cost of this measure and the Program’s objective to drive deeper savings per home. In an effort to extend the HPwES opportunity to new household profiles, DPL, Pepco, and SMECO proposed to implement an Assisted Home Performance with Energy Star (“AHPwES”) Program in the upcoming program cycle. While SMECO proposed a full-fledged Program for our consideration, the other two utilities did not include necessary metrics or cost-effectiveness data.39 We find that the expansion of this Program to an additional market segment is an appropriate objective, and therefore approve the SMECO AHPwES proposal, subject to the filing of a full description of its financing component prior to awarding any RFP to a lender. We do not at this time, however, approve the proposal by DPL and Pepco to operate AHPwES pilots. Instead we instruct the Utilities to re-file their proposals in advance of the next semi-annual hearing with complete programmatic information, should they choose to pursue a full-scale AHPwES Program as part of their respective portfolios. 38 39 Alliance Petition at 2. Staff Comments at 61. 11 Residential HVAC Program The Residential HVAC Program is designed to complement the markettransformative nature of the Residential HPwES Program and is intended to incentivize the purchase of higher efficiency models of HVAC equipment beyond the baseline of what is commercially available. While the Utilities did not suggest increasing the minimum criteria of a 16 Seasonal Energy Efficiency Ratio (“SEER”) used to establish the rebate level, the Utilities did propose to increase the baseline used to calculate energy savings and rebate value from a 13 SEER to a 14 SEER. While we appreciate this attempt to align the Program with upcoming changes to the national standards effective January 1, 2015, we find that the Program modification is premature given that contractors are permitted to take advantage of an 18 month lag period to deploy any remaining 13 SEER equipment inventory.40 We therefore deny, without prejudice, the Utilities’ proposal to increase the savings baseline to a 14 SEER, and also deny the corresponding proposed decreases in incentives.41 We do, however, accept the Utilities’ proposal to remove certain measures that are no longer cost effective, as well as to add one new measure – the multi-zone ductless mini-split heat pump – due to the projected energy efficiency gains associated with this equipment. With these modifications, we approve the statewide deployment of the Residential HVAC Program for the 2015 – 2017 program cycle, subject to the following measure and incentive offerings. 40 Staff Comments at 68. This proposal is denied without prejudice and may be reconsidered as part of the spring 2016 semiannual hearing. 41 12 Measure Central Air Conditioner, ≥ 16 SEER and ≥ 13 EER Central Air Conditioner, ≥ 18 SEER and ≥ 13 EER Air Source Heat Pump, ≥ 16 SEER and ≥ 13 EER and ≥ 9 HSPF Air Source Heat Pump, ≥ 18 SEER and ≥ 13 EER and ≥ 9.5 HSPF Geothermal Heat Pump (closed loop), ≥ 17.1 EER and ≥ 3.6 COP Gas Furnace, ≥ 92% AFUE (w/ ECM) Incentive Amount Measure $ 500 Tier 1 Ductless Mini-split Heat Pump, ≥ 14.5 SEER and ≥ 12 EER $ 1,000 and ≥ 8.2 HSPF Tier 2 Ductless Mini-split Heat $ 750 Pump, ≥ 18 SEER and ≥ 12.5 EER and ≥ 9 HSPF $ 1,250 Multi Zone Ductless Minisplit Heat Pump, ≥ 15.5 $ 1,800 SEER and ≥ 12.5 EER and ≥ 8.6 HSPF $ 300 Incentive Amount $ 200 $ 400 $ 600 Other HVAC Program modifications proposed by the Utilities include the provision of a seasonal bonus to drive additional sales during slower times of the year, the removal of HVAC tune-ups from the BGE and PE Programs, and the qualification of non-Energy Star homes for geothermal rebates in the Pepco and DPL service territories. We approve each of these proposed Program modifications, and direct all of the Utilities to offer a 10% seasonal bonus for HVAC equipment, similar to the conditions of the heat pump water heater seasonal rebate, and in keeping with our principle of standardization for core EmPOWER programs. Residential Behavior-Based Program We approve without modification the Residential Behavior-Based Program as proposed by DPL, Pepco, PE, and SMECO for the 2015 – 2017 program cycle.42 Through the Behavior-Based Program, customers are encouraged to make and sustain behavioral changes that yield energy savings, and we look forward to the stimulation of additional savings through the Utilities’ planned efforts to leverage the behavior reports to support cross-market participation.43 To further our understanding of the multi-faceted 42 43 BGE implements its behavior-based program under its Smart Grid initiative. Staff Comments at 62. 13 capabilities and potential of Behavior-Based Programs to drive deeper and sustained energy savings, we will schedule a technical conference in the coming months, which will be separately noticed. Residential New Construction Program We approve without modification the Residential New Construction Program as proposed by the Utilities for the 2015 – 2017 program cycle. The Program generally achieved forecasted metrics during the 2012 – 2014 program cycle across the service territories, and the Utilities submitted forecasts that indicate comparable or enhanced program savings in the upcoming cycle despite the State’s adoption of the 2012 International Energy Conservation Code, which increased the energy efficiency baseline.44 We commend the Utilities’ proposal to diversify the Program by adding a multi-family component, and approve the standardized Residential New Construction rebate offerings proposed by all of the Utilities.45 Schools Program The inclusion of a School-focused Program is a best practice found in many energy efficiency programs nationwide. While we acknowledge this best practice and encourage the engagement of future generations in the energy efficiency conversation, we find that the energy efficiency kit approach proposed by DPL, Pepco, PE, and SMECO is inappropriate given the directly targeted student audience, verification and saturation concerns that persist from PE’s previous distribution of energy efficiency kits. To be clear, we encourage the future adoption of a School-focused Energy Efficiency Program, 44 45 Staff Comments at 70. Id. at 70, Table 47: Residential New Construction Rebate Offerings. 14 but we instruct the Utilities to pursue an alternative approach with a more formally constructed curriculum through educators, and look forward to a structure that may emerge in collaboration with the Maryland Department of Education. Commercial and Industrial Programs The Utilities proposed to generally continue the commercial and industrial (“C&I”) EE&C portfolios offered during the previous program cycle into the next phase of EmPOWER Maryland. The potential of the C&I sector to realize deep energy savings remains largely untapped, and we are encouraged by the Utilities’ efforts to propose certain program modifications and enhancements that could uncover additional savings opportunities. We note, however, the less ambitious forecasts associated with some individual program offerings, and while we do not direct the resubmission of any such forecasts at this time, we look forward to a discussion with the Utilities in the context of cost effectiveness and whether supplemental programs will be necessary in order to achieve post-2015 energy savings goals. Given this backdrop, we approve for the 2015 – 2017 program cycle the deployment of the following proposed C&I programs, without modification. First, we authorize DPL and Pepco to continue their C&I New Construction Programs, and approve their request to change reporting of custom new construction projects as part of this Program. Second, we approve the proposal by BGE to implement several new C&I programs and pilots, including: (1) the Building Operator Certification Program; (2) the Benchmarking and Energy Analytics and Customer Engagement Tools Program;46 and 46 While we do not modify the proposal for either the Benchmarking or the Building Operator Certification Programs, we accept the recommendation by Staff that BGE should track and report on spillover attributable to these new Programs. See Staff Comments at 98-99. 15 (3) the Small Business Behavior Report Pilot.47 Third, we approve the new Commercial Upstream Lighting Program as proposed by BGE and SMECO, and direct the Utilities to discuss with the Work Group any mechanism designed to protect realization rates and prevent free ridership as part of this Program.48 Fourth, we approve continuation of the Prescriptive Program as proposed by BGE, DPL, PE, Pepco, and SMECO into the next program cycle. Fifth, we approve the revamped Master-Metered, Multi-Family Program as proposed by BGE, DPL, Pepco, and SMECO. Sixth, we approve the Retro- commissioning Program as proposed by BGE, DPL, and Pepco, including BGE’s proposal to re-brand their Program as a “Building Tune-up.” We also approve the revised incentive structure of the Combined Heat and Power Program as proposed by the Utilities.49 We agree with Staff in support of the increased installation incentives for smaller CHP projects; however, we acknowledge comments by other interested stakeholders that the incentive structure can be somewhat limiting in the total available incentive costs. Therefore, in addition to the proposed modifications offered by the Utilities, we also direct that the incentive cap for all CHP projects should be increased to $2.5 million, evenly split between the cap on the capacity and production incentives. Furthermore, we direct SMECO and PE to file separate CHP forecasts for our consideration in conjunction with the next semi-annual hearing, as we find that this initiative warrants its own stand-alone program and marketing efforts, rather than being offered as a component of the C&I Custom Program. 47 While Pepco and DPL also submitted proposals to operate a small commercial behavior program in the upcoming program cycle, neither utility provided forecasted information in their proposals. We therefore defer consideration of the DPL and Pepco proposal and direct them instead to file the required forecasted metrics for consideration in conjunction with the spring 2015 semi-annual hearing. 48 Id. at 97. 49 See Staff Comments at 102, Table 73: CHP Revised Incentive Structure. 16 Subject to certain modifications, including the separation of the CHP offerings by SMECO and PE as discussed above, we also approve the C&I Custom Program proposed by BGE, DPL, Pepco, PE, and SMECO. We also condition our approval of PE’s incentive structure upon standardization to align with that offered by BGE, DPL, Pepco, and SMECO under the Custom Program. Furthermore, we decline at this time to adopt the Whole Building Bonus proposed by DPL and Pepco. Next, we note that PE may choose to offer its Energy Solutions for Business – Audits program as a sub-component of either its Custom or Prescriptive Program during the 2015 – 2017 program cycle, but we decline to approve PE’s proposal to establish the audits as a stand-alone program. As a final component of the Utilities’ C&I portfolios, we approve the Small Business Programs proposed by BGE, DPL, Pepco, PE, and SMECO, subject to certain modifications. We appreciate the majority’s efforts to standardize the Program across the service territories, and to this end we approve the target market demand structure as proposed, with the exception of PE.50 Instead, we direct PE to align its small business target market to an equivalent demand structure of 60 kW or less. To further this standardization guideline, we also decline to approve PE’s proposed cap on incentives available to small businesses under this Program, and deny the proposal by DPL and Pepco to provide a Whole Building Bonus incentive. We invite comment on several aspects of the Small Business Program moving forward. The current definition of “small business” for purposes of this C&I EmPOWER Program reflects criteria based on demand alone, and we invite comment on whether to modify this definition moving forward to reflect additional criteria such as (but not 50 See Staff Comments at 80, Table 55: Small Business Target Market Comparison. 17 limited to) company size by revenues or by facility size. Moving into the next program cycle, we also intend to review the incentive structure of the Small Business Program, especially as we consider whether to expand the on-bill financing mechanism to all service territories. To maximize the impact of our limited EmPOWER funds, we will look to strike an appropriate balance between the incentive structure and any approved financing mechanism, such as low-interest loans. Electric Demand Response Programs Residential Demand Response Programs Since the inception of the EmPOWER Maryland programs, four of the Utilities have operated Residential Demand Response (“DR”) Programs. BGE, DPL, and Pepco offer incentives on air conditioning and heat pumps at three cycling levels of 50%, 75%, and 100%, and SMECO is proposing to more closely align with this structure by changing from a 3 degree setback to a 50% or 75% cycling option.51 We approve the request to standardize the combined Residential and Small Commercial DR Program implemented by SMECO. SMECO is proposing two other program enhancements associated with its combined DR Program, the first of which is a Water Heater DR Pilot that will incent customer participation through a $25 bill credit. Although Staff advocated that we delay the implementation of SMECO’s Water Heater DR Pilot,52 we find that SMECO’s 51 Staff Comments at 107. Staff noted that SMECO may need time to resolve county permitting issues, and may also want to delay implementation pending a decision in the legal proceedings associated with FERC Order 745. See Staff Comments at 109. We find, however, that the county permitting issues may be resolved in the ensuing months without detriment to our approval decision, and we also decline to speculate as to the ultimate resolution of the possibly protracted legal proceedings involving the vacating of FERC Order 745. 52 18 proposal presents new potential to increase demand savings in a controlled manner, and therefore authorize the deployment of this Pilot through the 2015 – 2017 program cycle. The second DR Program enhancement proposed by SMECO – a Smart Thermostat pilot – is also suggested by BGE, DPL, and Pepco, although each Utility has its own interpretation of how to administer the Program in its service territory. While SMECO and BGE proposed to pilot the technology, Pepco and DPL proposed to offer customers with certain older models of thermostats or outdoor cycling switches to upgrade to the two-way or AMI-compatible thermostats. We approve each of these proposals, and direct Staff in consultation with the parties to develop a template to facilitate the comparison of these technologies and Programs as implemented across the service territories so that we may better judge whether to authorize full-scale deployments at a later time. Commercial Demand Response Program As discussed and approved above, SMECO operates its Small Commercial Demand Response Program in conjunction with its Residential DR offering. DPL and Pepco also offer a Small Commercial Program to customers with peak demand of less than 25 kW, and the two Utilities propose to extend this Program into the 2015 – 2017 program cycle. As recommended by Staff, we approve the continuation of this Program by DPL and Pepco, without modification.53 We also approve, without modification, the proposal by SMECO to continue its Large Commercial Demand Response Program in its current form through the 2015 – 53 We note that Staff recommended DPL and Pepco re-file forecasts based on past performance. See Staff Comments at 112. While we do not require DPL and Pepco to do so herein, we remind the Utilities of our expectation that they provide reasonably accurate forecasts by which their performance will be evaluated. 19 2017 program cycle. While SMECO is currently the only Utility to offer a DR program for larger commercial customers, we encourage the other Utilities to monitor the Program’s progress and to consider whether it is appropriate to target the large commercial market segment within their service territories. Master-Metered Account Demand Response Program Pepco is the only Utility to offer the Master-Metered Account (“MMA”) Demand Response Program, which has proven to be very challenging to implement. Despite numerous programmatic modifications approved throughout the 2012 – 2014 program cycle, including the approval of a $10 building manger administrative fee, the MMA DR Program continues to drastically underperform. While we acknowledge the importance of extending EmPOWER programs to all market segments, we find that the effectiveness of this Program - in all its forms - has not been successful. Therefore, Pepco is directed to discontinue its MMA DR Program moving into the 2015 – 2017 program cycle. We encourage Pepco to pursue other ways to serve the master-metered sector. Other Programs with Savings Attributable to EmPOWER The Utilities implement various programs for which the energy efficiency and peak demand reductions are reported as part of EmPOWER, but the costs associated with these measures are not recovered through the EmPOWER surcharge. These energy management tools, the majority of which are existing programs, are approved insofar as we authorize the Utilities to continue reporting the savings attributable to these other programs in conjunction with the EmPOWER templates; we do not alter, nor have the Utilities requested changes to, any existing cost recovery mechanisms with this decision. 20 We therefore approve without modification the Utilities’ proposals to report the energy efficiency and demand savings impacts attributable to the following programs during the 2015 – 2017 program cycle: BGE DPL Pepco PE SMECO HighConservation Efficiency Dynamic Voltage Transformer Pricing Reduction Replacement Program Program x x x x x x x x x x x x Utility Energy Outdoor LED Street Distribution/ Management Street Lighting Transmission Tools Lighting Replacement Improvements Enabled by Replacement Program Program Smart Grid Program x x x x x x x x Limited-Income Programs Improving the energy efficiency of limited-income households is a crucial component of the State’s continuing EE&C goal, and is thus a critical area of focus under the EmPOWER umbrella. To this end, we continue to find that DHCD remains wellpositioned to leverage outside funds and resources to expand the reach of the EmPOWER programs. While we acknowledge that DHCD has improved its realized energy savings in relation to forecasts, we find that certain accountability measures will further enhance this progress and increase the likelihood that the EmPOWER limited-income programs will reach as many eligible participants as possible. The accountability measures and program modifications discussed below reflect the importance and seriousness of the need across our State to deliver cost-effective energy efficiency programs to all sectors — especially within the limited-income communities. First, we acknowledge the recommendation of the Limited-Income Work Group to subject the implementation of the limited-income programs to certain spending 21 guidelines to more evenly distribute funding among participants in the amount of EmPOWER ratepayer funding received per home.54 While the Work Group supported the concept of a tiered structure for average expenditures per home,55 we also recognize that individual circumstances may require exceptions to this principle of standardization. Thus, we find that spending guidelines are more appropriately administered at this time using an alternative framework.56 Specifically, we find that, as a general guideline, EmPOWER-funded expenditures per limited-income household should not exceed $7,500 – inclusive of all measures.57 While this general spending guideline will apply to the majority of situations, we note two specific exceptions to this expenditure cap. In the first instance, we affirm that the existing health and safety spending limit, which we herein increase to $1,000 per eligible household due to the adoption of higher code requirements,58 is incremental to the spending parameters. Furthermore, we find that certain circumstances may justify expenditures up to $12,000 per limited-income household.59 We therefore authorize spending to exceed the guideline of $7,500, up to $12,000. In these cases, the program 54 ML#158134: Summary Report on the Directives from Commission Order No. 86366 (“Work Group Report”) (Sept. 2, 2014) at Appx. C-9. 55 Id. at Appx. C-10. Other stakeholders expressed alternative views on whether a tiered incentive structure should be adopted, with OPC supportive of the tiers as a per unit average rather than as a cost cap. See Oct. 24, 2014 Tr. at 1099. The Coalition of Maryland Energy Efficiency Advocates did not object to the proposed tiers as targets, but did not endorse their use as hard or soft caps. See Coalition Comments at 1718. 56 We note that the Work Group supported tiered incentive structures as a way to more evenly distribute funding among different energy usage classes. See Work Group Report at Appx. C-10. We find, however, that this objective may be satisfied through properly managed participation metrics. 57 By this directive we address the question posed by the Work Group as to whether HVAC repairs/replacements should be included in the proposed cap. See Work Group Report at Appx. C-12. 58 The increase of the health and safety spending limit was recommended by both OPC and the overall Limited-Income Work Group. See OPC Comments at VEIC-70; Work Group Report at Appx. C-11. We note that “health and safety” expenditures allow audits to proceed following the correction of factors such as bathroom ventilation, smoke detectors, and electrical issues. 59 The $12,000 per limited-income household described herein constitutes a “hard cap” on EmPOWERfunded expenditures and must be accompanied by the documentation described above. 22 implementer must submit documentation of the best efforts to leverage outside funds.60 This documentation shall include a report detailing specific efforts to leverage outside funds and resources, and shall be filed as an appendix to the semi-annual report submitted by the program implementer.61 We take this opportunity to remind DHCD of our expectation that the Agency attempt to leverage outside funds in all circumstances – not just for the instances in which DHCD seeks to justify a higher spending level per household. Second, we recognize that the spending guidelines detailed above will be more consistently applied by expanding the limited-income program framework to include components such as a prescribed list of measures for weatherizing a home using EmPOWER funds as well as the inclusion of price lists for these measures. We therefore accept the recommendation of the Limited-Income Work Group to collaboratively develop a cost-effective prescribed list of measures by studying completed jobs and best practices in other jurisdictions.62 We direct Staff to file a report on behalf of the Work Group no later than April 15, 2015 detailing the recommended prescribed list of measures broken down by service territory. As for the accompanying price list for these measures, we note that the Work Group recommended that a price list could be provided as an addendum to the Request for Proposals issued by DHCD to retain its approved contractors.63 We therefore direct DHCD to adopt this practice prospectively. To the extent that the Work Group develops recommendations for price lists that define 60 The program implementer is reminded that other metrics, such as participation and energy savings, will still be reviewed as part of the semi-annual hearing. 61 As recommended by OPC, the semi-annual report appendix should detail the sources of leveraged funding and the types of measures funded with leverage resources. OPC Comments at VEIC-44. 62 Work Group Report at Appx. C-14. 63 Id. 23 acceptable price ranges for measures installed in each service territory, these recommendations may also be included in the April 15, 2015 report for our consideration. Third, we concur with the recommendation by the Limited-Income Work Group that more costly measures offered to eligible households should be subject to energy usage, equipment, and ownership guidelines.64 Larger, more costly equipment should meet certain age and efficiency specifications to first determine whether a replacement is warranted, so that relatively newer and functioning equipment is not replaced while it is still in good operating condition. To effectuate this directive, we task the LimitedIncome Work Group with quantifying the energy usage and equipment criteria as described in its September 2, 2014 report; Staff is directed to file a report on behalf of the Work Group no later than April 15, 2015 detailing these efforts. As for the ownership guidelines, we accept for immediate implementation the recommendation of the Work Group that landlords must invest at least 50% of the total cost of large measures funded by the EmPOWER surcharge, such as for HVAC unit replacements.65 While we are conscious that a landlord may refuse to pay for 50% of large measure costs, the rental household will remain eligible for other EmPOWER-funded weatherization measures and DHCD may seek to leverage another funding source to cover the unit replacement. Fourth, we are in general agreement with the Work Group that we should look to best practices, such as those compiled in the September 2, 2014 Work Group report, to bolster the evaluation, measurement, and verification (“EM&V”) practices associated 64 Id. at Appx. C-12. Id. at Appx. C-13; OPC Comments at VEIC-73. As recommended by OPC, the Limited-Income Work Group should convene to draft written policies and procedures for implementing the landlord contribution requirement. Id. 65 24 with limited-income programs offered under the EmPOWER umbrella.66 Itron, Inc., the Commission’s EM&V contractor, offered specific recommendations to increase the accuracy and effectiveness of future limited-income program evaluations.67 We find that the twelve recommendations outlined by Itron will improve the quality and usefulness of future limited-income program evaluations, and we therefore adopt the recommendations in full for all prospective evaluation periods.68,69 With the establishment of the above guiding principles and accompanying directives, we authorize DHCD to proceed at this time as the program implementer of EmPOWER Maryland Limited-Income programs for calendar year 2015. We note that because DHCD is at this time only authorized as the program implementer through calendar year 2015, DHCD is bound by the calendar year 2015 budget included in its proposal.70 While our Staff has expressed reservations regarding the continuation of DHCD in a program implementer role,71 the framework for accountability outlined in this Order will allow us to reassess over the next year the effectiveness of today’s decision. During 2015, DHCD is directed to effectively and aggressively implement the EmPOWER limited-income programs and strive to achieve the programmatic metrics set forth in its proposal. 66 See Work Group Report at Appx. D. ML#159226: Low Income Energy Efficiency Program: Summary of Verified Program Savings and Recommendations – Itron, Inc. (Oct. 3, 2014). 68 Id. at 1-13 – 1-19. 69 To the extent that the adoption of these EM&V best practices and recommendations exceeds the scope of work envisioned by DHCD’s 2015 – 2017 proposal, DHCD may seek a budget adjustment subject to the normal EmPOWER construct and template requirements by which all program implementers are bound. 70 See DHCD Proposal at 39, Table ES-4. 71 Staff’s DHCD Comments at 11. 67 25 Gas Energy Efficiency and Conservation Programs The EmPOWER Act states that, “[s]ubject to review and approval by the Commission, each gas company and electric company shall develop and implement programs and services to encourage and promote the efficient use and conservation of energy by consumers, gas companies, and electric companies.”72 (emphasis added). Although the current 2015 EmPOWER goals measure progress on the basis of electricity energy savings and demand reductions, several stakeholders have identified the possibility of cost-effective savings resulting from natural gas efficiency programs and subsequently recommended that the Commission formalize EmPOWER goals for natural gas utilities.73 MEA also advocated that the Commission should exercise its existing authority to expand EmPOWER programs to all natural gas customers.74 While there is not yet a formal proposal regarding natural gas efficiency goals for us to consider, Washington Gas Light Company proposed to formalize EmPOWER participation for a natural gas utility through its own set of programs for the 2015 – 2017 cycle.75 Staff posed as a threshold question whether it is premature to consider WGL’s proposal in the absence of Commission-established natural gas efficiency goals, before ultimately concluding that such a review is indeed appropriate, especially given that existing EmPOWER programs contain natural gas measures.76 We also find that the WGL proposal warrants immediate consideration, noting that the establishment of energy 72 PUA § 7-211(d). MEA Recommendations at 1; OPC Comments at VEIC-8, 74 MEA Recommendations at 9. 75 WGL Proposal at 2. 76 Staff’s WGL Comments at 1. 73 26 savings goals is not a prerequisite defined by the underlying statute.77 As an additional threshold inquiry, Staff questioned whether the authorization of WGL’s Program would impede the Commission’s goal of program standardization across the State.78 Specifically, Staff noted its concern that some of WGL’s proposed programs may be redundant to current electric utility program offerings that overlap with the WGL service territory.79 While this concern led Staff to recommend denial of certain aspects of the WGL proposal, we find that the identified issues can be mitigated by certain program modifications discussed below. With the exception of WGL’s proposed Energy Star New Homes Program,80 we find that all other proposed natural gas efficiency offerings are both appropriate and projected by the Company to be cost effective, and therefore we approve their residential and commercial program proposals.81,82 We direct WGL, however, to modify certain components of its individual program offerings to preserve standardization where there is overlap with existing EmPOWER programs. Specifically, we direct WGL to align its residential gas furnace incentives with the statewide HVAC incentives approved herein for the other Utilities.83 To the extent that WGL wishes to propose any future adoption of 77 See PUA § 7-211(f)(1), which states that the Commission shall require each gas company and electric company to establish any energy efficiency program that the Commission deems appropriate and cost effective. 78 Staff’s WGL Comments at 1. 79 Id. 80 As noted by Staff, the Maryland standard code for new construction is the 2012 IECC; therefore, WGL’s Energy Star New Homes Program, which proposed to incent homes to be at least 15% more efficient than the 2003 IECC, is inadequate. Id. at 5. 81 This approval is bound by the forecasted budget and metrics contained in Company’s supplemental filing. See WGL Proposal Addendum. 82 OPC noted that a high-level review indicates that WGL’s proposed portfolio of programs is “very costeffective.” See OPC Comments at VEIC-85. 83 While WGL proposed three tiers of furnace incentives in its filing, the other Utilities recommended only one tier of incentives for a gas furnace, ≥ 92% AFUE at $300. 27 additional tiers or incentive levels for gas furnaces, it may do so within the context of the EmPOWER Maryland Work Group or in future filings. While we approve WGL’s proposal, subject to certain modifications, we also acknowledge the need for continued coordination across electric and natural gas utilities when administering EmPOWER programs. We therefore endorse the recommendation of Staff, OPC, and MEA to establish a Natural Gas – Electric Efficiency Coordination Work Group. This Work Group may appropriately consider the co-branding and co-marketing of certain programs recommended by the stakeholders;84 the resulting recommendations may spur additional program offerings for us to consider later in this program cycle. In addition to developing program coordination strategies, we specifically direct the Natural Gas – Electric Efficiency Coordination Work Group to initiate a review process to determine the natural gas savings resulting from current electric EmPOWER Maryland programs. As part of this review process, the Work Group should consider the appropriate level of funding that could be allocated to natural gas customers on the basis of these savings, especially in the context of limited-income programs offered within a service territory whose efficiency programs are administered by separate natural gas and electric utilities. The Work Group is directed to file a status report on the attribution of these savings and the resulting proposed funding allocation scheme no later than April 15, 2015 so that the Commission may provide further guidance as necessary. Lastly, we note that both OPC and MEA filed comments suggesting that additional cost-effective opportunities may exist for WGL to expand the program offerings approved herein. MEA opined that WGL’s budget and participation forecasts 84 See, e.g. MEA’s WGL Comments at 31. 28 may be conservative,85 while OPC recommended that WGL pursue cost-effective solutions for other market segments.86 We take this opportunity to commend WGL for its self-initiated natural gas efficiency program proposal, and suggest that the Company work with Staff to familiarize itself with the EmPOWER reporting, budget and programmatic adjustment procedures by which WGL is now bound and consider future program expansion through the Work Group process. Other EmPOWER Matters Energy Efficiency Financing We have previously identified the availability of affordable financing as a potential barrier to participation in many of the Utilities’ EmPOWER Maryland programs.87 While we are encouraged to now have two on-bill financing programs underway for small business customers in the BGE and Pepco service territories, there continues to be a need for expanded access to affordable financing — including for residential customers. Financing can serve as a catalyst to higher participation and deeper realized savings,88 and creative solutions are needed to expand energy efficiency financing opportunities across all service territories and customer classes. To this end, we delegate the matter of residential energy efficiency financing to the Public Utility Law Judge (“PULJ”) Division for further investigation so that appropriate consideration may 85 MEA’s WGL Comments at 30. OPC Comments at VEIC-84. 87 See, e.g. Order No. 84569 (Dec. 22, 2011) at 13. 88 MEA Recommendations at 2. 86 29 be given to all stakeholder ideas, concerns, and proposals.89 We specifically direct the PULJ Division to facilitate the development of innovative and affordable residential energy efficiency financing programs that could be deployed across one or more service territories and in conjunction with current program offerings. This effort should also evaluate whether legal or regulatory barriers exist, and what changes may be necessary to facilitate the implementation of affordable energy efficiency financing programs. A status report detailing these findings shall be filed no later than April 15, 2015. MEA Policy Recommendations In accordance with the EmPOWER Act, we have given due consideration to the written findings provided by the Maryland Energy Administration regarding the design and adequacy of the Utilities’ proposals.90 As part of these findings, MEA offered a suite of policy and program recommendations to modify the EmPOWER program. While this Order has separately addressed several of these recommendations already relating to the expansion of EmPOWER programs to natural gas customers, as well as to the expansion of access to affordable financing for residential customers, we take this opportunity to address other suggestions offered by MEA. One such policy recommendation advocated for by MEA is the implementation of performance-based shareholder incentives for the utilities to meet or exceed established energy efficiency goals.91 Without prejudging the efficacy of such a proposal, we find 89 We note that prior Commission orders address the topic of energy efficiency financing, including but not limited to: Order No. 84569 (Dec. 22, 2011); Order No. 85589 (May 14, 2013); and ML#149455 (Sept. 6, 2013). 90 PUA § 7-211(h)(3). 91 MEA Recommendations at 12. 30 that the recommendation is not yet ready for our full consideration. While the concept and design parameters of an incentive-based approach were outlined in MEA’s comments, the Commission would benefit from review and analysis by the larger EmPOWER Planning Work Group of MEA’s proposal. We direct the Work Group to review the proposal and submit comments for Commission consideration prior to the next semi-annual hearings. MEA also advocated as part of this proceeding for the creation of a commercial and industrial ombudsman at the Commission. As envisioned by MEA, the C&I ombudsman would serve as a single, statewide point-of-contact and as an engaged advocate for C&I contractors and customers in EmPOWER matters.92 We concur that such a position would stimulate a business-friendly perspective across all utility programs and would also serve as an important voice in stakeholder meetings and Commission proceedings. While MEA advocates that this position should be established at the Commission, we find that such a position would serve just as effectively within the Maryland Energy Administration, especially for the purposes of recommending policy or programmatic changes for us to consider. We therefore encourage MEA to pursue this endeavor and note our willingness to consider the role and input of a C&I ombudsman as a stakeholder in future proceedings. As an additional recommendation, MEA suggests that the Commission expand the EmPOWER EM&V process beyond its current scope. MEA notes that in Maryland, EM&V is primarily viewed as a tool to verify energy savings, to identify necessary adjustments to program results, to calculate cost effectiveness, and to evaluate process 92 MEA Recommendations at 18-20. 31 issues.93 While recognizing the importance of EM&V to fulfill these objectives, MEA asserts that a wider array of research is needed to support program expansion. In support of this recommendation, MEA detailed several goals of an expanded EM&V effort, including added transparency. The goals outlined in MEA’s proposal are commendable and we appreciate the efforts to increase the transparency of EM&V protocols. We do share the view of Staff, however, that the third-party evaluator model has been a hallmark of our EM&V efforts, and we therefore would not endorse any recommendation that would undercut an independent and impartial EM&V process.94 To the extent that MEA, Staff, and other stakeholders collaborate on next steps, such as the creation of an EM&V reporting mechanism,95 we support such efforts within the confines of the EM&V budgets approved herein. Future Cost-Effectiveness Screening and Goal Allocation Methodologies The Commission has a statutory duty to direct the implementation of EE&C programs that we deem appropriate and cost effective.96 Our standard to date has focused on ensuring a real return on the ratepayers’ investment, and we have noted our intent to further address the scope and balance of factors bearing on cost effectiveness in future proceedings.97 As documented in an August 18, 2014 filing made by MEA on behalf of the EmPOWER Planning Work Group, stakeholders have engaged in an extensive 93 Id. at 21. See Staff Comments at 118-119. Staff expressed strong disapproval of a recommended process change in which stakeholders would be afforded the opportunity to redline EM&V documents prior to submission. 95 Staff conveyed its support of MEA’s proposal to track evaluation and verification recommendations and the resulting implementation efforts. As noted by Staff, MEA may submit a template for consideration by the EM&V work group. See Staff Comments at 119. 96 PUA § 7-211(f)(1). 97 Order No. 84569 at 17-18. 94 32 process to strengthen the analytical and methodological groundwork for avoided costs and cost effectiveness testing in conjunction with the 2015 – 2017 EmPOWER Maryland program cycle.98 Therefore, we find that the issue of future cost-effectiveness screening is ripe for consideration, especially in light of the corresponding outstanding topic regarding post-2015 goal allocation methodologies. To this end, we direct any interested party to file with the Commission proposed goal allocation methodologies for electric efficiency, natural gas efficiency, or both electric and natural gas efficiency no later than January 30, 2015.99 The topic of post2015 goal allocation methodologies, as well as future cost-effectiveness screening methodologies, will be the subject of a Commission hearing on February 12 and 13, 2015.100 IT IS THEREFORE, this 23rd day of December, in the year Two Thousand Fourteen, by the Maryland Public Service Commission, ORDERED: (1) That the Residential Lighting Program as proposed by BGE, DPL, Pepco, PE, and SMECO is approved for the 2015 – 2017 program cycle, subject to the metrics and budgets included in the respective Utilities’ filings; (2) That BGE, DPL, Pepco, PE, and SMECO are directed to include information pertaining to the incremental cost of LEDs compared to CFLs in their 98 ML#157744: EmPOWER Planning Group Documentation for Case 9153, 9154, 9155, 9156, and 9157 (Aug. 18, 2014). 99 Recognizing that January 30, 2015 would also be the filing deadline for the third and fourth quarter 2014 semi-annual report, we hereby extend that filing deadline for the Utilities and DHCD to February 13, 2015. 100 Additional information will follow in a Commission-issued notice of hearing and request for comment. 33 respective service territories in the quarterly filings submitted to Staff and in the semiannual reports filed with the Commission; (3) That Staff is directed to file on behalf of the EmPOWER Work Group a report detailing findings and any recommended modifications to the incentive structure for standard and specialized CFLs no later than April 15, 2015; (4) That the Residential Appliance Rebate Program as proposed by BGE, DPL, Pepco, PE, and SMECO, and as modified by this Order with respect to the eligible appliance measures and incentive offerings, is approved for the 2015 – 2017 program cycle, subject to the metrics and budgets included in the respective Utilities’ filings; (5) That BGE, DPL, Pepco, PE, and SMECO are directed to offer a 10% increase in the heat pump water heater rebate during 3 annual promotional periods of approximately 6 weeks each; (6) That the proposal by SMECO to introduce an online appliance rebate application and to implement an online store as part of its Residential Appliance Rebate Program is approved; (7) That the Residential Appliance Recycling Program as proposed by BGE, DPL, Pepco, PE, and SMECO is approved for the 2015 – 2017 program cycle, subject to the metrics and budgets included in the respective Utilities’ filings; (8) That the online voucher component of the Residential Appliance Recycling Program proposed by SMECO is approved, and that SMECO is directed to report in conjunction with its semi-annual filing on the additional participation metrics for the voucher program as outlined herein; 34 (9) That the Residential Quick Home Energy Check-up Program as proposed by BGE, DPL, Pepco, PE, and SMECO is approved for the 2015 – 2017 program cycle, subject to the metrics and budgets included in the respective Utilities’ filings, and as modified herein; (10) That PE is directed to offer the full complement of Quick Home Energy Check-up measures, standardized to the measure offerings of the other Utilities; (11) That BGE, DPL, Pepco, PE, and SMECO are directed to offer LEDs as an eligible measure in the Residential Quick Home Energy Check-up Program; (12) That Staff, on behalf of the EmPOWER Work Group, is directed to file a report discussing the cost effectiveness and feasibility of offering LEDs in lieu of CFLs as part of the QHEC Program no later than April 15, 2015; (13) That the Residential Home Performance with Energy Star Program as proposed by BGE, DPL, Pepco, PE, and SMECO is approved for the 2015 – 2017 program cycle, subject to the metrics and budgets included in the respective Utilities’ filings, and as modified herein; (14) That the proposal to increase the savings-to-investment ratio requirement within the Residential Home Performance with Energy Star Program is denied; (15) That the proposal submitted by Civic Works to implement a program in which the Utilities award performance-based contracts to community-based organizations to conduct marketing for the Home Performance with Energy Star Program on behalf of the Utilities is denied, without prejudice; (16) That whole home duct sealing is to remain as an eligible measure offered as part of the Residential Home Performance with Energy Star Program, and that the 35 Utilities are directed to exempt whole house duct sealing from the savings-to-investment ratio requirement; (17) That the Residential Home Performance with Energy Star Program incentive cap is increased for all Utilities to $2,500 in the event that a residential customer elects to perform whole home duct sealing; (18) That the Assisted Home Performance with Energy Star Program proposed by SMECO is approved, pending the submission of a full description of the financing portion of the program, including the interest rate, prior to awarding an RFP to a lender; (19) That the Assisted Home Performance with Energy Star Program proposed by Pepco and DPL is denied, without prejudice; (20) That the Residential HVAC Program as proposed by BGE, DPL, Pepco, PE, and SMECO is approved for the 2015 – 2017 program cycle, subject to the metrics and budgets included in the respective Utilities’ filings, and as modified herein; (21) That with respect to the Residential HVAC Program, the Utilities are directed to maintain the 13 SEER baseline and the HVAC incentive structure outlined herein until April 1, 2016; (22) That the proposal to adjust the Residential HVAC Program baseline to a 14 SEER and to modify the HVAC incentive structure as outlined in the Utilities’ 2015 – 2017 proposals is denied, without prejudice, and may be re-filed for consideration during the spring 2016 semi-annual hearing; (23) That the proposal by BGE and PE to remove HVAC tune-ups from the Residential HVAC Program is approved; 36 (24) That the proposal by Pepco and DPL to allow non-Energy Star new construction to qualify for geothermal rebates is approved; (25) That BGE, DPL, Pepco, PE, and SMECO are directed to offer a 10% seasonal bonus as part of the Residential HVAC Program; (26) That the Residential Behavior-Based Program as proposed by BGE, DPL, Pepco, PE, and SMECO is approved for the 2015 – 2017 program cycle, subject to the metrics and budgets included in the respective Utilities’ filings; (27) That the Residential New Construction Program as proposed by BGE, DPL, Pepco, PE, and SMECO is approved for the 2015 – 2017 program cycle, subject to the metrics and budgets included in the respective Utilities’ filings; (28) That the Schools Program as proposed by DPL, Pepco, PE, and SMECO is hereby denied; (29) That the Commercial and Industrial New Construction Program as proposed by DPL and Pepco is approved for the 2015 – 2017 program cycle, subject to the metrics and budgets included in the respective Utilities’ filings; (30) That the proposal by BGE to establish a new Building Operator Certification Program is approved for the 2015 – 2017 program cycle, subject to the metrics and budgets included in the BGE filing; (31) That the proposal by BGE to establish a new Benchmarking and Energy Analytics and Customer Engagement Tools Program is approved for the 2015 – 2017 program cycle, subject to the metrics and budgets included in the BGE filing; 37 (32) That the proposal by BGE to establish a new Small Business Behavior Pilot is approved for the 2015 – 2017 program cycle, subject to the metrics and budgets included in the BGE filing; (33) That consideration of the proposal by DPL and Pepco to establish a new Small Business Behavior Pilot is deferred, and that DPL and Pepco are directed to supplement this proposal with forecasted metrics for consideration at the spring 2015 semi-annual hearing; (34) That the proposal by BGE and SMECO to establish a new Commercial Upstream Lighting Program is approved for the 2015 – 2017 program cycle, subject to the metrics and budgets included in the respective Utilities’ filings; (35) That the Commercial and Industrial Prescriptive Program as proposed by BGE, DPL, Pepco, PE, and SMECO is approved for the 2015 – 2017 program cycle, subject to the metrics and budgets included in the respective Utilities’ filings; (36) That the Master-Metered Multi-Family Program as proposed by BGE, DPL, Pepco, and SMECO is approved for the 2015 – 2017 program cycle, subject to the metrics and budgets included in the respective Utilities’ filings; (37) That the Retro-commissioning Program as proposed by BGE, DPL, and Pepco, is approved for the 2015 – 2017 program cycle, subject to the metrics and budgets included in the respective Utilities’ filings; (38) That the Combined Heat and Power Program as proposed by BGE, DPL, Pepco, PE, and SMECO is approved for the 2015 – 2017 program cycle, subject to the metrics and budgets included in the respective Utilities’ filings, and as modified herein; 38 (39) That the Utilities are directed to increase the incentive cap for the Combined Heat and Power Program to $2,500,000, evenly split between the capacity and production incentive offerings; (40) That SMECO and PE are directed to file individual forecasts for the 2015 – 2017 program cycle for the Combined Heat and Power Program in conjunction with the next semi-annual reporting deadline; (41) That the Commercial and Industrial Custom Program as proposed by BGE, DPL, Pepco, PE, and SMECO is approved for the 2015 – 2017 program cycle, subject to the metrics and budgets included in the respective Utilities’ filings, and as modified herein; (42) That PE is directed to align its Commercial and Industrial Custom Program incentives with those offered by BGE, DPL, Pepco, and SMECO; (43) That the proposal by DPL and Pepco to offer a Whole Building Bonus as part of its Commercial and Industrial Custom Program is denied; (44) That the proposal by PE to establish a stand-alone Energy Solutions for Business – Audits Program is denied, although PE may offer the audits as a sub-program component of its Prescriptive and Custom Programs during the 2015 – 2017 program cycle; (45) That the Commercial and Industrial Small Business Program as proposed by BGE, DPL, Pepco, PE, and SMECO is approved for the 2015 – 2017 program cycle, subject to the metrics and budgets included in the respective Utilities’ filings, and as modified herein; 39 (46) That PE is directed to align its target market definition for its Small Business Program with that of the other Utilities; (47) That the proposal by PE to cap the incentives available to each participant as part of its Small Business Program is denied; (48) That the proposal by DPL and Pepco to offer a Whole Building Bonus as part of its Commercial and Industrial Small Business Program is denied; (49) That the Residential Demand Response Program as proposed by BGE, DPL, and Pepco is approved for the 2015 – 2017 program cycle, subject to the metrics and budgets included in the respective Utilities’ filings; (50) That the Residential and Small Commercial Demand Response Program as proposed by SMECO is approved for the 2015 – 2017 program cycle, subject to the metrics and budgets included in its filing; (51) That the proposal by SMECO to operate a water heater demand response pilot is approved for the 2015 – 2017 program cycle; (52) That the proposal by BGE and SMECO to operate a two-way thermostat pilot is approved for the 2015 – 2017 program cycle; (53) That the proposal by DPL and Pepco to offer customers with certain older models of thermostats or outdoor cycling switches the opportunity to upgrade to two-way or AMI-compatible thermostats as part of the Residential Demand Response Program is approved for the 2015 – 2017 program cycle; (54) That Staff, in consultation with the parties, is directed to develop a template to facilitate a comparison of the different technologies in the two-way thermostat pilots deployed across the service territories; 40 (55) That the Small Commercial Demand Response Program as proposed by DPL and Pepco is approved for the 2015 – 2017 program cycle, subject to the metrics and budgets included in the respective Utilities’ filings; (56) That the Large Commercial Demand Response Program as proposed by SMECO is approved for the 2015 – 2017 program cycle, subject to the metrics and budgets included in its filing; (57) That the Master-Metered Account Demand Response Program operated by Pepco is hereby discontinued; (58) That the proposal by BGE, DPL, Pepco, PE, and SMECO to report energy efficiency and demand savings attributable to certain other programs as described herein is approved for the 2015 – 2017 program cycle, subject to the metrics included in the respective Utilities’ filings; (59) That the spending guideline per eligible limited-income household is set at $7,500, although DHCD may spend up to $12,000 per limited-income household subject to the documentation requirements outlined herein; (60) That DHCD is directed to detail its efforts to leverage outside funds and resources in conjunction with its semi-annual report, subject to the guidelines outlined herein; (61) That the health and safety spending limit is increased to $1,000 per eligible limited-income household; (62) That Staff is directed to file a report on behalf of the Limited-Income Work Group no later than April 15, 2015 detailing the recommended prescribed list of measures by service territory; 41 (63) That on a prospective basis, DHCD is directed to solicit a price list defining acceptable ranges of measure prices by service territory as an addendum to any Request for Proposal issued for the purpose of securing contractors authorized to implement EmPOWER limited-income programs; (64) That Staff is directed to file a report on behalf of the Limited-Income Work Group no later than April 15, 2015 outlining certain specifications, such as age and efficiency, that must be met prior to the replacement of larger, more costly equipment that is otherwise in good operating condition; (65) That DHCD is directed to require an up-front investment by a landlord of at least 50% of the total equipment cost for large, costly measures such as HVAC units intended for installation in eligible limited-income rental properties; (66) That DHCD is directed to implement the twelve evaluation improvement recommendations proffered by Itron, Inc. and referenced herein for all prospective limited-income program evaluations; (67) That the application of Washington Gas Light Company for approval of natural gas energy efficiency and conservation programs for the 2015 – 2017 program cycle and an accompanying cost recovery mechanism is approved, subject to the modifications described herein; (68) That a Natural Gas – Electric Efficiency Coordination Work Group is hereby convened and that Staff is directed to file a status report on behalf of the Work Group regarding the assigned tasks described in this Order no later than April 15, 2015; 42 (69) That Staff, on behalf of the EmPOWER Planning Work Group, is directed to file a report and any associated recommendations related to the proposal to implement performance-based shareholder incentives no later than April 15, 2015; (70) That a docket concerning the matter of investigating and developing additional energy efficiency financing proposals shall be opened and delegated to the Public Utility Law Judge Division, and that a status report shall be filed no later than April 15, 2015; (71) That any interested party is directed to file proposed goal allocation methodologies for electric efficiency, natural gas efficiency, or both electric and natural gas efficiency no later than January 30, 2015; AND (72) That the Utilities and DHCD are directed to file their third and fourth quarter 2014 semi-annual reports on or before February 13, 2015. /s/ W. Kevin Hughes /s/ Lawrence Brenner /s/ Kelly Speakes-Backman /s/ Anne E. Hoskins Commissioners* *Commissioner Harold D. Williams did not participate in this decision 43