In the August 16, 2022 meeting of the Planning Subcommittee (PSC), stakeholders were invited to submit feedback on proposed improvements to the Attachment Y process along with accompanying draft Tariff language.
Comments are due by August 30, 2022.
WEC Energy Group recommends rewording of the new "Transition to New Attachment Y Framework" language to provide clarity. We suggest replacing:
The Attachment Y four full Quarterly Study Periods advance notice and Quarterly Study Period framework shall not apply to an Attachment Y Notice submitted up to one full Quarterly Study Period after the effective date of the revision of Tariff Section 38.2.7. A subsequent decision to Suspend operation or Retire one Quarterly Study Period following the revision date stated in such notice shall require an Attachment Y Notice submitted at least four full Quarterly Study Periods prior to the change of status. Any Attachment Y Notice that is submitted prior to the first full Quarterly Study Period will utilize the prior Tariff requirement to be submitted at least 26 weeks prior to the start of Suspension.
With:
The Attachment Y four full Quarterly Study Periods advance notice and Quarterly Study Period framework shall not apply to an Attachment Y Notice submitted up to one full Quarterly Study Period after the effective date of the revision of Tariff Section 38.2.7. Any Attachment Y Notice that is submitted prior to the first full Quarterly Study Period will utilize the prior Tariff submission requirement of at least 26 weeks prior to the start of Suspension.
Any Attachment Y Notice submitted after one full Quarterly Study Period after the effective date of the revision of Tariff Section 38.2.7 shall utilize the submission timing provisions within Section 38.2.7.