Sources: Storage Project Firms Able to Game California’s SGIP Program

The continuing misadventures of the SGIP incentive, now both crappily structured and administered.

On occasion, we've referred to California's Self-Generation Incentive Program, an $83 million per year renewables incentive, as poorly structured.

Today we're adding "poorly administered" to our list of descriptors.

Cutting to the chase -- according to numerous sources, a single company, Stem, was able to secure the first 56 applications in a recent solicitation. According to another reliable source, based on SGIP data, Stem was able to monopolize the online submission process for the first 2 or 3 minutes of the live opening. These sources have suggested that, somehow, Stem might be gaining an advantage in the submission process.

Source: GTM Research

According to a letter obtained by GTM dated March 9, 2016 and addressed to Mr. Edward Randolph, Energy Division Director at the California Public Utilities Commission, a who's who of energy storage companies (SolarCity, Advanced Microgrid Solutions, Avalon Battery, Clean Energy Storage, Enphase Energy, Geli, Gexpro, Johnson Controls, JuiceBox Energy, Sharp Electronics, Sonnen, SunEdison) listed the failures in the SGIP program opening.   

(Energy Solutions is the third-party web portal administrator.)

Some of the failures encountered when the parties attempted to access the portal:

On February 23 at 8:57 a.m., an email was sent by Energy Solutions that stated: "Due to the high volume and concentration of submissions, some applications received the same 4-digit app number at the end of their application ID."

The letter to the CPUC states, "These are not duplicates but rather applications that were received within milliseconds of each other." The letter adds that what's needed is the design of a "high-functioning program that is no longer dependent on a 'first come, first served' time-stamped ranking methodology" and "measures to ensure funding is more equitably dispersed utilizing an appropriately set developer cap or similar means that ensures diverse participation."

The letter calls the results of the opening "suspicious and concerning" because:

The Energy Solutions portal webpage includes a pretty standard restrictions-of-use boilerplate: "[An applicant] may not use any robot, spider or other automatic device, process or means to access, retrieve, scrape, reverse engineer, compile, create derivative works, publicly display or otherwise distribute any portion of the Site or the Platform."

The letter continues, "Currently, the success or failure of SGIP applications appears to be based on the difference in nanosecond application submission time stamps, which raises the specter of potential system gaming. Instead of funding the best and lowest-cost technologies across a diverse range of participants to the benefit of the broader storage market and in the public interest, SGIP is inexplicably rewarding creative and aggressive application submittal strategies and ultimately concentrating funding among a very small pool of applicants."

Stem's Director of Policy Ted Ko had this response:

One of the signees of the letter to the CPUC suggested that the storage incentive for individual projects be lowered so that SGIP funds could be used to back a larger number of projects.

The letter to the CPUC concludes that the program is not "functioning in the public interest," adding, "Immediate reforms are needed to fix this flawed program design."

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Some info on the SGIP program:

The SGIP is the original California renewables incentive, predating the California Solar Initiative.

Bloom Energy's natural-gas-powered fuel cells have drawn or reserved more than $400 million of the program's 14-year $1.4 billion total, according to the CPUC's SGIP worksheet. If the SGIP's aim was to provide several hundred million dollars to a single VC-funded fuel-cell company, then it has succeeded -- by classifying fuel cells as an "emerging technology." 

Source: Base SGIP Incentive Levels for Eligible Technologies (from 2015 SGIP Handbook)

However, the SGIP was actually intended "to provide incentives for any distributed generation resources that the commission determines will support the state's goals for reductions of emission of greenhouse gases."