O CNPE (National Energy Policy Council) published, in the Official Gazette of the Union, this Tuesday (07), the guidelines to valuation of costs and benefits da GD (distributed generation) to the electrical system.
A publication rd highly anticipated by the sector, since, as determined by the Law 14.300 / 2022Is another step to dictate what the tariff collection model will be for the modality in the country.
- Check out the publication by clicking here.
As of the publication of Law 14.300/2022, on January 7, 2022, the ANEEL had 18 months to establish the calculations valuing the costs and benefits of the segment in the country.
Before, although, six months after publication of Law 14.300/2022, the CNPE (National Energy Policy Council) should have established the guidelines that guided the Agency in this valuation.
On June 23, 2022, the MME (Ministry of Mines and Energy) initiated this process through Public Consultation 129/2022 for society to contribute opinions and indications of what the guidelines should be that would guide the entire calculation of the valuation of the costs and benefits of distributed generation.
However, the dates ended up not being respected and CNPE has only now published the guidelines to be analyzed by ANEEL.
What was defined?
O document published highlights that the ANEEL must consider 12 points at the time the preparation of the valuation of distributed generation. Check out, in full, which are they:
I - Consider the effects related to the reduction or expansion of the distribution network; the transmission network; generation centered on the power aspect; and ancillary services referred to in § 10 of art. 1st of Law No. 10.848, of March 15, 2004, observing item VIII of this article and the non-duplicity of benefits, in view of the condition set out in art. 23 of Law No. 14.300, of January 6, 2022;
II – Consider the effects related to the need to implement improvements, reinforcements and replacement of equipment in transmission and distribution facilities, as well as effects related to the operating costs of distributors;
III - Consider the effects related to technical losses in electrical transmission and distribution networks and the quality of electrical energy supply to consumers;
IV - Consider the effects on the operation of the electrical system and sectoral charges;
V - Consider the locational effects on the distribution network and the transmission network, arising from the location of the connection point of the consumer unit with MMGD, observing the technical specificities of the distribution networks of each distributor, guaranteeing the aspects of reproducibility and transparency provided for in items XI and XII;
VI - Consider the effects related to simultaneity, seasonality and the time of consumption and injection of electrical energy into the network throughout the day;
VII - Consider possible differences in effects between generation close to the load and remote generation;
VIII - Consider possible differences in effects between dispatchable and non-dispatchable MMGD generation systems;
IX - Consider the effects of involuntary contractual exposure resulting from any over-contracting of electricity from distributors as a result of their consumers opting for the MMGD regime;
X - Ensure that there is no duplication in the incorporation and valuation of costs and benefits, including costs and benefits that are already included in the Electricity Compensation System;
XI - Strive for efficiency, simplicity, clarity, economy, reproducibility and objectivity of criteria and methodologies, ensuring compliance with the determination of § 3 of art. 17 of Law No. 14.300, of 2022;
XII - Ensure transparency and publicity of the process, methodology, costs and systemic benefits of MMGD, including the databases used and calculation memorials carried out.
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An answer
The information is very interesting and important, but I would like to know what will change in practice for the end consumer.
Regarding fee collection, what changes in 2030?