DECC launch FIT review | Page 20 | on ElectriciansForums

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So around 15000 installations every quarter for the -10kW banding.

This is going to be fun trying to explain to customers that we can't actually tell them what rate they are going to receive.
 
My very quick extract of the main points (Note -EPCs are affected but no change to band D, and extensions will no longer be eligible)

1.42 All new installations applying for FITs on or after 15 January 2016 will
be subject to a new system of caps from 8th February 2016
with the following
key features:
-Maximum of £100 million a year for new installations by April 2019
from February 2016 divided between technologies and degression
bands to set quarterly deployment caps (expressed in terms of
aggregate total installed capacity of MW) as set out in Table 2
below.
-Deployment to be tracked by Ofgem based on the total installed
capacity of new installations registered on the Microgeneration
Certification Scheme (MCS) database on or after 15 January and
Ofgem’s records of applications for ROO-FIT accreditation received on
or after 15 January and ROO-FIT pre-accreditation received on or
after 8 February.
-The time and date (to the second) of an installation’s MCS certificate
or application for ROO-FIT accreditation or pre-accreditation to be the
basis for determining whether or not that installation qualifies under
any particular cap
.
-A queuing system for applicants who miss out on a cap, meaning that
their applications for FITs accreditation are frozen and they have a
place in the queue when the next cap opens (but no guarantee of any
support until they qualify under a cap).


-A two-speed system for recycling underspend:
(i)In-year rollover process
–any unused capacity for a particular technology and degression band
from one quarter simply gets added on to the next quarter; and
(ii)A budget reconciliation for FITs, which we expect to be
biannual but could be more or less frequent depending on
deployment: this would bring together any underspend
and, subject to addressing any budgetary pressures,
redistribute it as deployment cap ‘top-ups’. In considering
where Government redistributes these ‘top-ups’, Government will take
into account its policy priorities. At the moment, we expect this
redistributed underspend could be towards solar PV to continue
supporting a trajectory towards subsidy
-free deployment, as well as providing additional support to meet our earlier
deployment projections.

Contingent Degression
1.49 Recognising that two thresholds provided added complexity,
Government has decided to implement only one degression threshold at the
level of each quarterly cap. The contingent degression rate will therefore
be 10% if the cap is hit.
DECC will keep this rate of contingent degression
under review and consider amending it if support and/or deployment levels are
adversely impacted by a constant series of tariff degressions. More detail is
set out in the response to question 4 in the consultation analysis below.

Pre-accreditation re-introduced
1.52 Government therefore considers that the re-introduction of pre-accreditation
is appropriate. Pre-accreditation will be re-introduced from 8 February 2016.
As before, it will be available for solar and wind projects over 50kW and for all
anaerobic digestion and hydro projects.
Validity periods of pre-accreditation will be
six months for PV; one year for wind; and two years for hydro and AD. Government
will also reintroduce the additional six month period for community energy projects
on top of the relevant period per technology. Applications for pre-accreditation will
be subject to the new deployment caps in the same way as applications for full accreditation.

Extensions
1.56 The consultation sought views on whether to remove the ability of
installations to extend their capacity under FITs. There was only limited
support for the proposal with the majority of respondents disagreeing with
the proposal, principally because it was suggested extensions offered better
value for money to the generator. Government has decided that the right to
receive a generation tariff for extensions should be removed for all
installations which commission on or after 15 January 2016
. Whilst
encouraging the deployment of renewable installations, the scheme should
provide better value for money for the consumer, rather than the generator,
and extensions may provide generators a tariff that provides a higher rate
of return on investment than that set out in the scheme’s EU State Aid approval.

Other
1.59 Government does not propose introducing changes to the FITs scheme in
relation to the export tariff, tariff indexation, competition, smart meters,
grid management and sustainability criteria for anaerobic digestion at this time.

However, Government may consult further on these proposals in future.

EPC
7.24 Therefore, DECC intends to implement the proposal to require the EPC
to be issued prior to the commissioning date of the PV installation as a
scheme eligibility requirement for new applicants.
The effectiveness and
impact of this change will be monitored and, if necessary, reviewed
following its implementation.

Pause
1.60 The budget agreed for FITs to April 2019 is up to £100m of new spend
from January 2016. In order to preserve this budget for future deployment at
tariffs which provide better value for money to the consumer, Government
intends to implement a pause to the scheme for 4 weeks. The pause will
start on 15 January 2016 and will continue until 8 February 2016 when the
new tariff and deployment caps will be in place.
In deciding to implement a
pause Government has balanced the need to preserve the budget against
concerns raised in consultation that a pause would limit the ability of some
companies to operate. Government considers a pause of four weeks to be
justifiable in an effort to preserve the longer-term future of the scheme.

1.61 The practical effect of this is that, during the pause, no new
installations will be accredited for FITs save for those with pre-accreditation
granted before 1 October 2015
who are applying for accreditation within the
period of validity of the pre accreditation. Generators will still be able to apply
for FITs in the normal way. Installations which commission and apply for
FITs during the pause will be in the queue when the new deployment caps
and tariffs come into force on 8 February 2016
.

1.62 The Government recognises that there may be some cases where
applications for FITs are received on or after 15 January in respect of
installations which have MCS certificates dated before 15 January.
Table 12, in response to question 12 in the detailed analysis,
provides an overview of the approach for transitional installations.

Implementation
1.63 An amended FIT Order and Licence Condition modifications will be laid
in Parliament on 17 December 2015. The Order will be subject to a minimum
21 day praying period before it comes into effect on 15 January 2016. The
Licence Condition modifications will be subject to a 40 day praying period
before coming into force on 8 February 2016.


1.64 The first cap period will run from 8 February to 31 March 2016. Ofgem
guidance on how to apply will be published ahead of this date.
 
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It's a bit odd isn't it....how come they didn't cite a specific mechanism within the energy act or other policy framework, when outlining the reasons/justification for this pause?
 
Last edited:
Unless the days that Parliament is sitting have been changed then I can't see how they work out 40 days comes to 8th February. I reckon that is only 36 days from today. As there is another break in Feb I think 40 days would be 22nd February. Perhaps, under their interpretation of the wording, they think they can count 4 of the days when Parliament isn't sitting.
 

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