N-3Notice of Filing of Revised Pro Forma Delegation Agreement, Relevant Revised Delegation Agreement, and Amendments to the NERC Rules of Procedure 6/29/2010
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as a deviation from the uniform CMEP: §5.3(vii) of the WECC CMEP does not contain a reference to a shortened hearing procedure, because the WECC hearing procedures do not include the shortened hearing
AI summary The text explains that the WECC CMEP differs from the uniform CMEP by not including a shortened hearing procedure, as WECC's procedures do not incorporate such a mechanism.
e. Exhibit D to the Delegation Agreement Section 1.0 of Exhibit D has been revised to state that the Regional Entity will implement the NERC CMEP, Appendix 4C to the NERC ROP. All Regional Entities have agreed to implement the NERC CMEP. 8...
AI summary Exhibit D's Section 1.0 was revised to require Regional Entities to implement NERC's CMEP and Appendix 4C to the NERC ROP. All Regional Entities agreed to adopt the NERC CMEP, except for one deviation in the WECC CMEP. The revision clarifies that NERC CMEP excludes uniform Hearing Procedures, which are addressed separately in Section 2.0. Section 3.0 remains unchanged, requiring identification of other compliance decision-making bodies.
s of the bulk power system concerning reliability and compliance matters," so long as specific allegations or conclusions regarding possible or alleged violations are not included in such disclosures. Current §403.15, Report all Violations...
AI summary Amendments to Section 400 focus on updating compliance enforcement procedures, deleting redundant sections, and aligning with Appendix 4C. Key changes include referencing Sanction Guidelines (Appendix 4B), requiring NERC reporting for penalties, and specifying hearing processes per Attachment 2 of Appendix 4C.
10. Attachment 2 – Hearing Procedures Revisions have been made throughout Attachment 2 in order to consistently capitalize defined terms and to remove capitalization from terms that are not defined terms. These revisions include capitalizi...
AI summary Revisions to Attachment 2 update terminology capitalization, remove redundant definitions (e.g., Bulk-Power System) now covered in the Compliance Monitoring and Enforcement Program (CMEP), and align the Settlement section with CMEP and Reliability Organization Procedures (ROP) revisions. Changes ensure consistency with CMEP's §1.1 definitions and settlement procedures.