Topic/Matter Intersection

Topic:"Demand Side Management Resource Plan" in M10569

Matter: P-194 - Nova Scotia Power Inc. (NSPI) - 2022 Load Forecast Report
11 passages 5 documents

Demand Side Management Resource Plan across all matters →

N-4NSPI (NSUARB) RIR-1 to RIR-36 1 passage
Section 69
roval.1 The remaining years are based on E1’s 2019 potential 12 study2. Any year to year variance is a result of changes in the forecast DSM amounts as provided 13 by E1 in those two forecasts. 1 M10473, EfficiencyOne 2023-2025 DSM Resourc...

AI summary The document addresses a correction in the residential forecast methodology, clarifying that housing completions, not starts, are used for customer count forecasting. This correction is part of NSPI's response to an information request from the NSUARB regarding the 2022 Load Forecast Report.

N-5NSPI (SBA) RIR-1 to RIR-19 1 passage
Section 61
mand Forecast (2022 Load Forecast Report) (NSUARB M10569) NSPI Responses to Small Business Advocate Information Requests NON-CONFIDENTIAL 1 (c) The ELCC analysis completed for the 2020 IRP did not consider response time as an input 2 to th...

AI summary NSPI provided responses to information requests from the Small Business Advocate regarding the 2022 Load Forecast Report. It clarified that the BNI Curtailment values in the report were based on the 2019 DSM Potential Study, not the 2023-2025 DSM Resource Plan, and directed the requester to Appendix D of the 2019 study for detailed analysis.

N-7Refiled NSPI (CA) RIR 1 to RIR-17 - Redacted 1 passage
Section 32
Objective Precipitation mm Sometimes Hourly Objective Wind direction Degrees Yes Hourly Objective Date Filed: July 25, 2022 NSPI (CA) IR-13 Page 2 of 3 REDACTED (CONFIDENTIAL INFORMATION REMOVED) 10 - Year Energy and Demand Forecast (2022...

AI summary The document references Nova Scotia Power Inc.'s (NSPI) 10-year energy and demand forecast from the 2022 Load Forecast Report, submitted as part of a regulatory proceeding under NSUARB matter M10569. It notes NSPI's responses to consumer advocate information requests and includes a page reference to a non-confidential document.

N-10Evidence - EfficiencyOne 5 passages
Section 5
Average annual energy net system requirement change -0.1% +0.3% Average annual system peak demand change +0.2% +1.6% 3 4 In response to NSUARB IR-36, NS Power attributed increases forecasted in energy requirement, 5 system peak demand, and...

AI summary NS Power attributes projected energy demand increases to carbon reduction targets and EV adoption. They state models align with net-zero goals but note a lack of market analysis to assess customer responses, emphasizing the need for a comprehensive study to inform policy objectives.

Section 16
has proposed a demand response 5 program within its 2023-2025 DSM Plan. It is important to E1 that all demand response programs 6 in the load forecast are consistently and accurately treated. 7 8 4.1 Demand Response plan in forecast 9 In t...

AI summary NS Power's 2023-2025 DSM Plan includes a demand response program, but E1 emphasizes accurate treatment in the load forecast. NS Power states that the proposed measures are part of the IRP Action Plan, not directly used in the 2022 Load Forecast.

Section 17
the forecast it was assumed that E1’s proposed demand response measures are 6 incorporated into the larger demand response program that is being developed as part of the IRP 7 Action Plan.” 24 8 9 As part of its 2023-2025 DSM Plan, E1 subm...

AI summary E1 submitted a 2023-2025 DSM Plan targeting 18 MW of demand response by 2025 but questions NS Power's 50 MW forecast, requesting clarification on the 32 MW gap. E1 also emphasizes the need for consistent treatment of demand response resources in the 2022 Load Forecast.

Section 19
ely short duration 13 per call, or if there is a limitation on the number of calls in a given period of time (e.g. per month 14 or per year), the application of an ELCC factor is warranted.” 26 15 16 E1 believes that this definition should...

AI summary E1 argues that ELCC factors should apply to all demand response resources, including LIIR and managed EV charging programs, while NS Power contends that real-time control capabilities negate the need for ELCC factors in the large industrial rider. The discussion includes program design considerations and references to regulatory matter M10569.

Section 22
vidence 1 when system reliability is jeopardized.” 31 2 3 E1 recommends that NS Power apply the same framework when assessing the value provided 4 by different demand response programs. 5 6 5. SUMMARY 7 What are the primary recommendations...

AI summary E1 recommends updating NS Power's heat pump modeling to reflect current adoption trends, exploring electrification scenarios with specific technologies, providing a plan for demand response capacity, and applying a consistent framework for assessing demand response programs to ensure system reliability and effective resource planning.

N-11E1(NSPI) RIR-1 to RIR-2 3 passages
Section 2
s by year (kWh and kW demand associated with each heat pump installation 23 or overall). 24 25 (c) The forecast and actual energy and demand savings for heat pump installations by year. Date Filed: 12 September 2022 E1 (NS Power) IR-01 Pag...

AI summary The document outlines NS Power's 10-year energy and demand forecast, focusing on heat pump installations' energy savings by year. EfficiencyOne (E1) provided responses to NS Power's information requests as part of the regulatory proceeding M10569, which includes forecasts and actual energy/demand savings data.

Section 15
Power) 10-Year Energy and Demand Forecast (2022 Load Forecast Report) – M10569 E1 Responses to NS Power Information Requests NON-CONFIDENTIAL Year Forecast Incentive Level Actual Incentive Level 2013 M04819, E-7 (C ), ENSC (Avon) RIR-11 Ce...

AI summary The document outlines E1's responses to NS Power's information requests regarding energy and demand forecasts, including rebate details for heat pump programs from 2013–2015. It references specific matter numbers (M10569, M04819) and highlights rebate levels for Central Ducted Air Source and Ground Source Heat Pumps, with varying percentages and caps.

Section 40
lumn X 2013 M04819, E-7 (C ), ENSC (Avon) RIR-11 Wood/Pellet: 20% rebate was provided to a Attachment 1 maximum of $600. • Tab ‘Mea-In’ Advanced automatic pellet • Rows 71, 77 Equipment: 40% rebate was provided to a • Columns Z, AJ maximum...

AI summary The text outlines rebate programs for wood/pellet and advanced automatic pellet equipment under ENSC's 2013-2014 initiatives, with specific rebate percentages and caps. It also references the 2015 DSM Plan not being modelled and mentions EfficiencyOne's involvement in NS Power's 2022 Load Forecast Report proceeding (M10569).

Disclaimer: These summaries were generated by AI from the filings they describe. We take care to make them accurate, but errors are possible - and they aren't advice. Only the filings themselves are the record: if you're relying on something here, confirm it against the source documents or the Nova Scotia Energy Board's own record. Full disclaimer →