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On
"Unleashing the potential of renewable energy to meet the RPO of captive power plant, VAL,
Jharsuguda and study the RE potential of Odisha of with comparative financial analysis".
DECLARATION
is an original work and the same has not been submitted to any other Institute for the award of
any other degree.
A Seminar presentation of the Training Report was made on 3rd September, 2013 and the
suggestions as approved by the guide were duly incorporated.
Presentation In-Charge
(Faculty)
Countersigned
Director/Principal of the Institute
Page | 2
ACKNOWLGEDEMENT
I am having a great pleasure to present this report entitled "Unleashing the potential of renewable
energy to meet the renewable purchase obligation of captive power plant, Vedanta Aluminium
Ltd., Jharsuguda and study the RE potential of Odisha of with comparative financial analysis". I
take this opportunity to express my sincere thanks to make this a success.I am grateful to
Vedanta Aluminium Ltd. for giving me the opportunity to do my summer internship with
company.
I would like to thank Mr. G. Sambha Shiva Rao ,HEAD CPP(O&M), Vedanta Aluminium
Ltd.,for giving me the opportunity to do the summer internship project in the company.I express
my sincere gratitude towards my industry guide Mr. MANAS TYAGI,Associate General
Manager(CPP), for his able guidance, continuous support and cooperation throughout my
project.
I feel deep sense of gratitude towards Mr. J.S.S. Rao, Principal Director, Corporate Affairs
(NPTI), Mr. S. K. Chaudhary, Principal Director, CAMPS, my internal Project Guide Mrs.
Karishma, Senior Fellow, NPTI, Mrs. Manju Mam, Deputy Director, NPTI for arranging my
internship at Vedanta Sterlite and Mr. Rohit Verma, Deputy Director, NPTI for being a constant
source of motivation and guidance throughout the course of my Internship.
Words could never be enough to express my true regards to all those who in some or the other
way helped me in completing this project. I cant in full measure, reciprocate the kindness shown
and contribution made by various persons on this endeavour of mine. I shall always remember
them with gratitude and sincerity. I take this opportunity to thank all those who have been
instrumental in completion of my training.
Page | 3
TABLE OF CONTENTS
Sr. No.
CONTENTS
Chapter
Page No.
DECLARATION
ii
ACKNOWLEDGEMENT
iii
TABLE OF CONTENTS
iv
LIST OF FIGURES
vi
LIST OF TABLES
vii
ABBREVIATIONS
ix
EXECUTIVE SUMMARY
INTRODUCTION
1.1
Problem Statement
1.2
Research Objective
1.3
Organization Profile
2.1.1
2.1.2
2.1.3
2.1.4
10
11
2
2.1
2.2
2.2.1
Page | 4
2.2.2
12
2.3
OERC on RPO
13
2.4
13
2.5
13
16
Background
17
2.6.1
17
2.6.2
17
2.6.3
17
RE Technology
19
2.7.1
19
2.7.2
19
2.7.3
19
2.7.4
20
2.7.5
20
2.7.6
21
2.7.7
21
Wind Technology
21
REC MECHANISM
24
REC Mechanism
24
Introduction
24
3.2
27
3.3
27
2.5.1
2.6
2.7
2.8
3
3.1
3.1.1
Page | 5
Mechanism
3.4
27
3.5
Features
28
3.6
Development of RECs
28
3.7
Operational Framework
29
3.8
31
3.9
Institutional Framework
33
3.10
34
3.11
37
3.12
37
3.13
38
3.14
38
41
Calculation of RPO
41
4.1.1
41
4.1.1
41
4.2
Solar RPO
43
4.3
Non-Solar RPO
45
4.4
REC calculation
46
46
47
47
4
4.1
4.4.1
5
5.1
Page | 6
5.2
47
5.3
49
5.4
50
5.5
Drivers of Growth
55
5.6
57
5.7
58
5.8
60
61
6.1
Financial Analysis
61
6.2
62
6.2.1
62
6.2.2
63
6.3
64
6.4
65
7.1
SUGGESTIONS AND
RECOMMENDATIONS
68
7.2
70
7.3
ANNEXURE - I
73
7.4
ANNEXURE II
76
Page | 7
LIST OF FIGURES:
NAME OF FIGURE
Page No.
18
20
20
21
22
30
33
38
44
46
48
49
51
53
55
58
64
66
Page | 8
LIST OF TABLE:
NAME OF TABLE
Page No.
12
14
16
17
18
37
38
39
42
43
43
44
45
45
47
47
49
49
51
53
54
56
Page | 9
58
59
63
65
66
66
68
69
71
72
Page | 10
EXECUTIVE SUMMARY
As a student of MBA in Power Management from National Power Training Institute, I got an
opportunity to do my summer internship at Vedanta Aluminium Limited, Jharsuguda. I was
given a project regarding meeting the RPO compliance of VAL, Jharsuguda with its financial
analysis.
The project explains Renewable Purchase Obligation and the way to meet it either buying
Renewable Energy Certificates or installing a Power Plant from Renewable energy sources or
purchasing power from any Renewable Energy Generator. The compliance is only applicable to
entities like Open Access Consumers, Distribution licensees, Captive Generators. The Orissa
electricity Regulatory Commission made some changes on the target given by Central Electricity
Regulatory Commission. The present RPO is 6% of the power consumed by the company
leaving the traded and auxiliary power generated from the Captive Generating Plant. As per the
Regulation by the honorable commission the compliance will increase by 0.5% in the
consecutive years which comprises 0.05% in Solar Power, 0.2% in Non-Solar Power and 0.25%
in Co-Generation respectively. Till now the regulations has only mentioned the compliance till
2015-16.
In the report the mechanism of REC has been explained and the calculation method. I have
calculated the RPO compliance of VAL, Jharsuguda for three consecutive years till FY15-16
from this year onwards. The validity of RECs is for 730days. For non-compliance of RPO the
amount of penalty that will be charged at Forbearance price. Forbearance price is the
maximum cost of REC.
The financial analysis that has been shown that it is better to install a RE power plant rather
than to purchase RECs. The reason for this is that VAL has to purchase RECs every year where
as the plant will run for 25 years.
Page | 11
I find in this report that VAL, Site has the potential of Solar, Biomass and RE-Cogen. So it is
better to meet Solar RPO. VAL should install its own Solar Power Plant while to meet the NonSolar RPO; it has two options either to purchase Non-Solar REC or to buy electricity from IndBharat Utkal Private Limited, Jharsuguda.
Any obligated entities has to purchase RE electricity only from local RE Generators or
Distributors. In this Report I have also attached the financial modeling of RE power plants
(FY13-14) which follows CERC norms.
Page | 12
ABBREVIATIONS:
OERC
IPTC
CERC
IS
Indian Standard
NAPCC
RE
Renewable Energy
ACS
DMRPS
REC
NREL
RPO
kV
Kilo Volt
ARR
kWh
Kilowatt Hour
EPS
IGCC
ATO
SPO
CAGR
NTP
CEA
FOR
Forum Of Regulators
WDV
IEGC
Co-Gen
Cogeneration
MNRE
Ministry of Non-Renewable
Energy
CPP
WISE
CTU
OREDA
VAL
IREDA
DISCOM
Distribution Company
SPV
Page | 13
CGP
EA
Electricity Act-2003
APCC
SLDC
EE
Electrical Equipment
JNNSM
SAM
IISC
EPC
Engineering, Procurement,
Construction
TERI
EU
European Union
STE
FY
Financial Year
SEB
FYP
STU
GENCO
Generation Company
OA
Open Access
PPA
RPS
PT
Preferential Tariff
NLDC
IEX
CUF
PXIL
GRIDCO
AD
Accelerated Depriciation
NRSA
GBI
MSW
GOI
Government Of India
SHP
INR
Indian Rupees
YoY
Year on Year
Page | 14
Chapter-1
INTRODUCTION
1.1Problem Statement:
Since the cost of electricity generated from conventional power plants (Fuel: Coal, Oil, Gas) is
less; most of the manufacturing industries for their own use setup their Captive Plants. Although
the cost of power generation is less but the adverse impacton environment is very high.
Alternatively they are responsible for emission of carbon to the atmosphere. In due course of
time The National Action Plan for Climatic Change (NAPCC) has come into existence by the
Union Government and hence by that policy India has to reduce carbon emission. With this
action the Central Electricity Regulatory Commission has brought certain regulations and with
that the companies having Captive Power Plants, Open Access consumers and Distribution
Licensee have to generate a certain percentage of their usage either from renewable energy or by
buying Renewable Energy Certificates (RECs) or by paying penalties. Hence the problem
statement is
How to meet Renewable Purchase Obligation of (CPP) VAL, Jharsuguda as per Orissa
Electricity regulatory Commission".
1.2 Research Objective:
CPP is one of the obligated entities to meet RPO; as per CERC regulation Renewable Purchase
Obligation can be fulfill by three ways:
Generate it yourself.
In India, RPO varies from one state to others depending on their respective Regulatory
commissions. Orissa electricity regulatory commission classified RE sources into Solar, NonSolar and Co-Generation to meet RPO. The Report will explore the possibilities for
RE sources in VAL site and Orissa
Page | 15
History:-The Company was founded by Anil Agarwal in Mumbai in 1976. It was first listed on
the London Stock Exchange in 2003 when it raised $876 million through an Initial Public
Offering it acquired Sterlite Gold, a gold mining business in 2006. It raised an additional $2bn
through an ADR issue in 2007.
Vedanta have experienced significant growth in recent years through various expansion projects
for our copper, zinc, lead, silver, aluminium ,iron ore & power business, vedanta resources
overall revenue for the fiscal year ending 31March 2013 was US $ 15 Billion. It is the world
largest integrated Zinc lead producer & among the top producers of copper, Iron ore & silver.
They embedded sustainable development into all aspects of what they do & support communities
where they operate to improve the quality of life.
About 2.7 million people in about 550 villages have benefitted from their programs that include
sustainable livelihood development, education, women empowerment & health case. vedanta's
aanganwadis cater to 1.25 lakh children, while as many as 2.5 lakh children receive nutritious
meals every day. Investments in computer education has benefitted 10 lakh students, while they
have provided healthcare for over 22 lakh people, they also support more than 35,000 women
through 2,00 women self-help groups.
In last five years, these groups have reduced their energy consumption by over 40%, last year
they planted 759,000 trees bringing the total no. of trees on their operations to 12 million.
Page | 16
Vedanta Resources is a globally diversified natural resources group with revenues in excess of
US$ 11 billion. They are the first Indian manufacturing company to be listed on the London
Stock Exchange. Their experienced workforce of over 31,000 people is distributed among their
operating locations in India, Zambia, Namibia, South Africa, Liberia, Ireland and Australia.
The principal members of their consolidated group of companies are as follows:
Operations:-
Area
Subsidiaries
Sterlite Industries (India) Ltd.: Sterlite is registered office headquartered
in Tuticorin, India. Sterlite has been a public listed company in India since
1988, and its equity shares are listed and traded on the NSE and the BSE,
and are also listed and traded on the NYSE in the form of ADSs. Vedanta
owns 53.9% of Sterlite and has management control of the company.
Copper
Konkola Copper Mines: Vedanta own 79.4% of KCMs share capital and
have management control of the company. KCMs other shareholder is
ZCCM Investment Holdings Plc. The Government of Zambia has a
controlling stake in ZCCM Investment Holdings Plc.
Copper Mines of Tasmania Pty Ltd.: CMT is headquartered in
Queenstown, Tasmania. Sterlite owns 100.0% of CMT and has management
control of the company.
Hindustan Zinc Limited: HZL is headquartered in Udaipur in the State of
Rajasthan. HZLs equity shares are listed and traded on the NSE and BSE.
Zinc
Sterlite owns 64.9% of the share capital in HZL and has management
control. Sterlite has a call option to acquire the Government of Indias
remaining ownership interest.
Aluminium
Page | 17
equity shares are listed and traded on the NSE and BSE. Vedanta owns
57.1% of Sesa and has management control of the company.
Commercial
power
generation
business
Vedanta Aluminium Ltd. is an associate company of the London stock exchange listed, FTSE
100 diversified Vedanta resources plc. Originally incorporated in 2001, VAL is leading producer
of metallurgical grade alumina & other aluminium products, which cater to a wide spectrum of
industries. Vedanta resources have over 31,000 employees worldwide.
Page | 18
Corporate Overview:
VAL has carved out a niche for itself in the aluminium industry with its superior product quality
based on state of art technology.The firm operates a 1mtpa green-field alumina refinery and an
associated 90MW captive plant at langigarh in the state of orissa. Plans are afoot to increase the
capacity of the langigarh refinery significantly to 5 mtpa.This is in line with VAL's strategy to
promote langigarh as a self-sustained manufacturing unit in terms of cost advantage & resource
availability.
VAL has invested in a 0.5 mtpaaluminium smelter & 9*135 (1215MW) captive power plant
supported by highly modern infrastructure at jharsuguda by highly modern infrastructure at
Jharsuguda, Orissa, In addition to this, construction of 1.1 mtpaaluminium smelter expansion
project at Jharsuguda is under process, the company intends to expand the fully integrated
Aluminum smelting capacity to 2.6 mtpa in near future.
Jharsuguda is also the site of the 4*600 (2400MW) Independent power plant (IPP) being set up
by group company Sterlite energy ltd. to meet the growing demand for power from both urban &
rural consumers.
Vedanta
Resources
79.4%
Konkola
Copper
Mines
70.5%
54.6%
VedantaAlu
minium
29.5%
94.8%
Sterlite
Industries
3.6%
55.1%
Madras
Aluminium
40.1%
Sesa
Goa
18.7%
Cairn
India
Limited
51%
51.0%
Bharat
Aluminium
64.9%
Zinc
India
(HZL)
100%
Skorpion
&Lisheen
74%
100%
Black
Mountain
Sterlite
Energy
100%
Australian
Copper
Mines
Liberia
Iron Ore
Assets
Page | 19
CHAPTER 2
LITERATURE REVIEW REGULATORY FRAMEWORK
&
RESEARCH METHEDOLOGY
The Commission had notified the CERC (Terms and Conditions for recognition and issuance of
Renewable Energy Certificate for Renewable Energy Generation) Regulations,2010 (hereinafter
Principal REC Regulations) vide notification dated 14th January, 2010.
The Commission had further clarified that the REC mechanism aimed at promoting additional
investment in the renewable energy projects and to provide an alternative mode to the RE
generators for recovery of their costs.Subsequently, the Commission made amendment in the
Regulation 5 of Principal REC Regulations vide notification dated 20th September, 2010
(hereinafter Amendment Regulations). The principal objective of the Amendment Regulations
was to provide clarity on applicability of the regulations to eligible entities and bring in certain
essential checks and balances in the REC related process.
Transactions in RECs over the past two years have provided valuable insights into the operation
of the REC mechanism as envisaged in REC Regulations. Several important milestones have
been reached in the trading sessions for non-solar and solar RECs. Renewable Energy generators
with a total capacity of 3,552 MW have been accredited for RECs out of which 3,237 MW of
capacity have got registered as on 15th October 2012.One principal concern is the need for
creation of demand for RECs and consequent price discovery. Demand for REC today is largely
Page | 20
driven by CPPs and Open Access consumers. Distribution companies are not participating in
large number in the REC market.
Section 86 (1) (e) of the Electricity Act, 2003, which requires the State Commission to promote
cogeneration and generation of electricity from renewable sources of energy by Providing
suitable measures for connectivity with the grid and sale of electricity to any person, and also
specify, for purchase of electricity from such sources, a percentage of the total consumption of
electricity in the area of a distribution license.
The Central Commission, as a consequence of its roles for market development under section 66
of the Electricity Act, 2003 has created a market framework through the REC mechanism that
would help compliance of the obligations set out by the State Commissions across the country.
The Commission also appreciates that some of the issues identified are of great significance and
would need to proceed along a logical path of progression. Addressing such issues would require
very extensive consultation with State Commissions and the state levelstakeholders.
Page | 21
(d) Extension of time period for applying for issuance of Certificate; The detailed amendments
proposed through modifications in the present regulations are elaborated upon in the following
section.
2.1.2 Issues regarding treatment of PPA entered through competitive bidding and not
through cost plus tariff determined by the regulators:
REC Regulations at present do not allow issuance of Certificates to a renewable energy generator
selling power at preferential tariffs. The term preferential Tariff has been defined in the REC
Regulations as the tariff fixed by the Appropriate Commission for sale of energy, from a
generating station using renewable energy sources, to a distribution licensee. This definition is
stated to leave out the tariff adopted by the Appropriate Commission under section 63 of the Act.
Renewable energy generators (selected through competitive bidding under section 63 of theAct)
cannot be given REC credit, as this would amount to double counting of the greenattributes.
Accordingly, it is proposed to clarify through suitable amendment in Regulation 5(1) (b) of the
REC Regulations and substitute the definition of preferential tariff by the definition of tariff as
tariff determined under section 62 or adopted under section 63 of the Act by the Appropriate
Commission
Commission varies from season to season and year to year, depending on the nature of the
Internal consumption requirements of such co-gen units.
Bagasse based cogeneration power plants are generally established for meeting primarily the
self-load requirement of Sugar Mills and sale of surplus quantum if any. In order to promote
setting up of such power plants, the state and respective commissions have passed relevant
regulations/orders for export of surplus power available after meeting their captive requirement.
The Commission is of the view that any investor while participating under competitive bidding
quotes tariff after considering all costs as well as risks involved during the life time of the
operation of renewable energy generation project, and offers the green energy in its totality and
not the electricity component and green attribute separately.
It is abundantly clear that under PPA that the bagasse based Co-generation plants havebeen
established primarily to meet their own power requirement (self-consumption). The PPA was
signed with the sole intention only to sell Surplus power.
2.1.4 Procurement of electricity by a local distribution licensee at the rate of pooled cost of
purchase as determined by appropriate Commission:
The term Pooled Cost of Purchase has been defined in the Principal REC Regulations as
under: Introduction of such changes prematurely may affect the REC markets adversely, and
may also create distortions that would be difficult to undo subsequently. Accordingly, following
issues are proposed to be addressed through the present amendment as per the details given
below:
equal, in such cases, the renewable based power should be preferred to the competing
conventional power.
2.2.1 National Solar Mission: The NAPCC aims to promote the development and use of solar
energy for power generation and other uses with the ultimate objective of making solar
competitive with fossil-based energy options. The plan includes:
Specific goals for increasing use of solar thermal technologies in urban areas,
industry, and commercial establishment.
A goal of increasing production of photovoltaic to 1000 MW/year; and
A goal of deploying at least 1000 MW of solar thermal power generation.
Other objectives include the establishment of a solar research center, increased international
collaboration on technology development,strengthening of domestic manufacturing capacity, and
increased government funding and international support.
The NAPCC also describes other ongoing initiatives, including:
power plants and supporting the research and development of IGCC and supercritical
technologies.
Renewable Energy: Under the Electricity Act 2003 and the National Tariff Policy 2006, the
central and the state electricity regulatory commissions must purchase a certain percentage of
grid-based power from renewable sources.
Energy Efficiency: Under the Energy Conservation Act 2001, large energy-consuming
industries are required to undertake energy audits and an energy labeling program for appliances
has been introduced.
As per Tariff Policy, the solar power purchase obligation for states may start with 0.25% in
Phase I (by 2013) and go up to 3% by 2022.RE resources are unequally distributed in the country
with some states having abundant supply. This makes it difficult for the RE deficit states to meet
their RPO targets. To counter this issue, REC mechanism was introduced. Discomscould buy
RECs from power exchanges and fulfill their RPO.NAPCC envisages a national level 10% RPO
level to be achieved by 2015 increases 1% every year up to 15% till 2020.
Page | 25
Table no-2.1
To achieve 3% RPO compliance by 2022, we would need ~34,000MW of solar capacity.
OERC also determined the tariff from the Renewable Sources of Energy through a Suo Motu
proceeding initiated for finalization of policy on harnessing of power from RE sources of energy
including co-generation. Commission in its Petition No.37/2008 (Suo Motu) dtd.14.09.2010
determined the generic tariff for various renewable sources of energy for the control period
2010-11 to 2012-13.
In the said order the Commission mentioned that in case of Solar PV and Solar Thermal
Projects the bench mark cost may be reviewed by the Commission annually. The Commission
has determined the generic tariff for Solar PV and Solar Thermal Projects to be set up in Odisha
with technical and financial parameters.
Page | 26
Pursuant to provisions of section 86(1) (e) of the Act, the Appropriate Commission
shall fix a minimum percentage for purchase of energy from such sources taking in
to account availability of such resources in the region and its impact on retail tariffs.
Such percentage for purchase of energy should be made applicable for the tariffs to
be determined by the SERCs latest by April 1, 2006.
RPO refers to regulations that require large consumers/ distributors of electricity to consume a
certain minimum percentage of electricity from renewable sources.
RECs are similar to Carbon credits in International market. They are tradable and will be
available to RE power producer and are traded domestically.
Specify some percentage of renewable energy every utility need to purchase:
Page | 27
1. The continuous lowering of price in the International Market has compelled CERC to take a
view on tariff for Solar PV and Solar Thermal sources annually.
80% of the total project cost. The revision in capital cost approved by CERC and corresponding
change in the generic tariff for Solar PV and Solar Thermal sources from 2010-11 to 2012-13 is
shown in the table below:
Financial
Capital cost
Year
CERC Tariff
OERC Tariff
(withoutaccel. Deprn.)
(withoutaccel. Deprn.)
Rs./Kw/hour
Rs./Kw/hour
Solar
Solar
Solar PV
Solar Thermal
Solar PV
Solar
PV
Thermal
2009-10
17.00
15.30
2010-11
16.90
15.30
17.91
15.31
17.80
14.73
2011-12
14.42
15.00
15.39
15.04
17.80
14.73
2012-13
10.00
13.00
Thermal
Table no -2.2
2. CERC has also approved the price of Renewable Energy Certificates (RECs) to meet Solar
Power Obligation (SPO) for the Control period of 5 years from 1st April, 2012 to 31st March,
2017 reducing almost 22% from the current price as indicated in table below:
3. In the 27th Meeting of Forum of Regulators (FOR) held on December 16, 2011 at Raipur,
Mr.Tarun Kapoor, Jt. Secretary, MNRE presented the Solar Power Scenario in India today and
Page | 28
declared that looking at the present response from Solar Manufacturing Industry, MNRE is now
sure that Solar Power will attend grid parity by 2017. Mr.Kapoor said that the highlights of the
latest round competitive bidding for 350 MW Solar Power under Phase-I JNNSM Programme
are as under: The lowest bid was offered by M/s Solar Direct India for 5 MW Solar Power Plant in
Rajasthan @ Rs.7.49/Kwh.
The highest bid was offered by M/s Green Infra Solar Project Ltd. For 20 MW Solar Power
Plant in Rajasthan @ Rs.9.44/Kwh.
The average price of winning bids was Rs.8.78/Kwh which is 49% of Rs.17.91/Kwh and
57% of Rs.15.39 per Kwh approved by CERC for FY 2010-11.
4. Rajasthan bagged offer for 295 MW Solar Power Plant out of 350 MW offered.
5. In India, there are 51 Module Manufacturers (9 of whom also make cells) having a combined
capacity of 1500 MW but these industries are now working at a Capacity Utilization Factor
(CUF) of 20% even though 1000 MW worth of Solar Power Plants are under construction in the
country today under $20 billion worth under JNNSM. 80% of Demand has been met by imports
leading to the so-called Death of Manufacturing in India.
6. Due to drop in the demand in the biggest market World over, European, Chinese and
American Manufacturers are left with huge inventory of solar modules and cells and these are
being liquidated / dumped in India at a throw away prices. The US Company Solyndra has sold
some solar modules at a dirt cheap price of 55 Cents/Watt to some Solar Power Developers of
India. Indian Solar Module Manufacturers have therefore represented MNRE to recommend to
Ministry of Finance to impose a 15% Customs Duty on imported modules and cells.
7. For harnessing Renewable Energy in Odisha, OREDA the State Nodal Agency for
Renewable Energy has assessed Renewable Energy potential of about 16230 MW, Science and
Technology Dept., Govt. of Odisha has assessed the feasible potential as 11820 MW whereas
Page | 29
WISE- engaged as Consultant by OERC has assessed RE potential of the State of about 7874
MW as shown in Table 2.3:
OREDA
WISE
Wind
800
1700
2430
Solar
10000
14000
5000
Biomass
900
350
240
Small Hydro
120
160
184
Municipal waste
NIL
20
20
11820
16230
7874
Total
Table 2.3
8. Odisha is having good potential for setting up of solar projects as can be seen from the table
at para-8 above but is lagging behind the other States in attracting any major solar projects. The
relevant extract of the Study of WISE engaged by the Commission is as under:
India, due to its geo-physical location, receives solar energy equivalent to nearly 5,000 trillion
kWh/year which is equivalent to 600 GW. This is far more than the total energy consumption of
the country today. But India produces a very negligible amount of solar power - mere 0.2 percent
compared to other energy resources.
Further, entire electricity generation is using Solar Photovoltaic (SPV) technology as power
generation using solar thermal technology is still in the experimental stages. Currently, India has
less than 7 MW of grid connected solar PV capacity.
Following map depicts solar energy potential in the country. While India receives solar
radiation of 5 to 7 kWh/m2 for 300 to 330 days in a year, power generation potential using solar
PV technology is estimated to be around 20MW/sq. km and using solar thermal generation is
estimated to be around 35MW/sq. km.
Page | 30
2.7 BACKGROUND:
SECTOR
MW
%AGE
STATE SECTOR
90317.2
40.96
CENTRAL SECTOR
67309.1
29.81
PRIVATE SECTOR
65999.56
29.23
TOTAL
225793.72
100.00
Table no-2.4
Private sector participation in capacity addition has been increased significantly compared to
previous years percentage which is a good sign but still more participation needed in growth
perspective.
Page | 31
MW
%AGE
THERMAL
153,847.99
68.14
COAL
132,288.39
58.58
GAS
20,359.85
9.01
OIL
1,199.75
0.53
HYDROELECTRIC
39339.40
17.42
NUCLEAR
4780.00
2.11
RES** (MNRE)
25856.14
11.45
TOTAL
225793.72
100.00
Fig-2
Page | 32
2.8 RE-TECHNOLOGY
2.8.1 TYPES OF SOLARPOWERPLANTS:
1) Photovoltaic power plants
2) Solar thermal power plants
An electrical field is created near the top surface of the cell where these two materials are
When sunlight strikes the surface of a PV cell , this electrical field provides momentum
Page | 33
Fig-2.2
2.8.5 Solar thermal plants using parabolic trough:
In these solar thermal plants parabolic trough is installed. It consists of the long array of
curved mirrors that form the sort of trough and they focus suns rays on pipe through which
the fluid usually the water flows. Due to focused sun rays the fluid gets heated and its steam is
formed. The steam flows through the conventional generators to produce electricity. The
solar thermal plants using parabolic troughs are the most commercialized of the lot.
Fig-2.3
Page | 34
In the solar power tower the field of mirrors is used to reflect the solar energy towards the
central tower in which there is a fluid usually water .The fluid gets heated and converted into
steam, which turns the turbine as is done in conventional power plants.
The parabolic solar dish comprises of the parabolic shaped concentrator that have shape
similar to the satellite dish. The reflectors are installed on their inner surfaces that reflect the
solar energy at the focal point at the Centre where the receiver is mounted. In the receiver the
heat engine is installed that generates the electricity.
Fig-2.4
2.9 Wind Technology:
Before the advent of wind turbine people uses windmill captures wind energy and then uses a
generator to convert it to electrical energy. But now to harness the energy of the wind turbine is
used which is built to capture the winds energy with 2 or 3 propeller-like which are mounted
Page | 35
on a rotor, to generate electricity. The wind blows and a pocket pressure air forms on the
downward side of the blade, then low-pressure pulls the blade toward it, causes the rotor to run.
Hence a lift and drag occur making the generator to work to make electricity.
The important parts of wind turbine are:-
1)
Anemometer: Measures the wind speed and transmits wind speed data to the controller.
2)
Blades: Most turbines have either two or three blades. Wind blowing over the blades
3)
4)
(mph) and shuts off the machine at about 55mph. Turbines do not operate at wind speeds above
about 55 mph because they might be damaged by the high winds.
5)
Gearbox: Gears connect the low-speed shaft to the high-speed shaft and increase the
rotational speeds from about 30to60 rotations per minute (rpm) to about 1000to1800 rpm, the
rotational speed required by most generators to produce electricity. The gear box is a costly
(and heavy) part of the wind turbine and engineers are exploring" direct-drive" generators that
operate at lower rotational speeds and don't need gear boxes.
6)
electricity. High-speed shaft: Drives the generator. Low-speed shaft: The rotor turns the lowspeed shaft atabout30 to60 rotations per minute.
7)
Nacelle: The nacelles its a top the tower and contains the gear box, low-and high-speed
shafts, generator, controller, and brake. Some nacelles are large enough for a helicopter to land
on.
Page | 36
Fig-2.5
8)
Pitch: Blades are turned, or pitched, out of the wind to control the rotor speed and keep
the rotor from turning in winds that are too high or too low to produce electricity.
9)
Rotor: The blades and the hub together are called the rotor.
10)
Tower: Towers are made from tubular steel (shown here),concrete, or steel lattice.
Because wind speed increases with height, taller towers enable turbines to capture more energy
and generate more electricity.
11)
the wind. Other turbines are designed to run" down wind," facing away from the wind.
12)
Wind vane: Measures wind direction and communicates with the yaw drive to orient the
13)
Yaw drive: Upwind turbines face in to the wind; the yaw drive is used to keep the rotor
facing in to the wind as the wind direction changes. Down wind turbines don't require a yaw
drive , the wind blows the rotor down wind.
14)
Page | 38
CHAPTER- 3
3.1 REC MECHANISM:
3.1.1 INTRODUCTION:
India has sustained one of the most detailed and comprehensive renewable energy sectors since
a very long time. As far back as the 1980s, solar thermal and solar photo voltaic technology and
biogas was available in the market, for consumption of the masses and the focus was primarily
the rural sector because of, perhaps two major reasons: firstly the requirement for power was
substantially lower in the rural sector and secondly, rural sectors demand for a consistent
supply was also not too strict. In many ways, the effect of this policy was salutary to the nascent
Indian renewable energy market. A primary focus on the rural sector, which lacked grid
connectivity allowed the technologies to grow and also focused the research efforts of many
leading institutions like IISC and TERI towards developing new renewable energy technologies
and improving upon the existing ones.
By nature renewable energy is geography dependent, thus early on, its development and use
were both confined to the areas producing it. Rajasthan was end owed with abundant
INSOLATION, Tamil Nadu with wind and Maharashtra, owing to extensive sugarcane farmingwith bagasse. The generation and consumption were both localized in nature and no plans were
in place for its transmission and distribution. Being costlier in nature, without any incentives,
there would have been no reason for a distributor to buy any renewable energy to supply to his
customers.
But with the progression of time and subsequent development in the country, starting from the
final decade of the previous century, several factors have started contributing to a Sudden
emphasis on the development and consumption of renewable energy. The most important factor
is the spectra of global warming and consequent environmental fallouts that the traditional
sources of energy have. Thermal power plants based on coal, belch out pollutants in the
atmosphere which have cause irreparable damage to the fragile ecosystems that sustain all life
on earth. The requirement of energy can not be practically reduced, so the only way out seems to
reduce the dependence on the traditional sources of energy. This is where renewable energy
Page | 39
scores as a viable option. Second major factor is the highly fluctuating nature of oil prices in the
international markets. Most nations especially developing countries found their development
plans completely thrown off-gear during the last price spurt of oil. Another major contributing
factor is the quest for energy security which the policy makers of the country have been
pursuing right from the time of independence and as has been formally stated in the Integrated
Energy Policy 2006.
These three, together have laid the ground work for renewable energy to become available
option in terms of both sound policy and economic viability. Most renewable energy
technologies are still in a developing phase and in order for them to compete with established
sources of energy there needs to be, a policy support mechanism in its favour to allow it to
mature technologically and achieve economies of scale that are so essential for are duction in its
price versus fossil fuels.
In India, the ElectricityAct2003 is one such legislation which envisions a developed market for
renewable energy in future and took the first steps towards the development of a comprehensive
demand supply mechanism for it. The EA allows the generation to be delicensed and gives a
frame work for its procurement by the distributors. So its a carrot and stick policy as
incorporated into the legal framework of EA2003.There are several incentives that are allowed
to the generators of renewable energy and there are statutory requirements for its procurement
and supply to the end consumers. As the generation of renewable energy is fairly decentralized
in both nature and form, the act rests the responsibility of its promotion on the SERCs.
According to EA, it is the mandate of SERCs to ensure that the electricity mix in the irrespective
states has a fixed percentage of renewable energy. This mechanism is known as the Renewable
Purchase Obligation or the RPO. But there is an inherent flaw in this mechanism. As each state
has its own potential, different states have different RE potentials and thus supply mixes. Also as
the RPO mechanism concentrates mainly on the intra-state use, a state devoid of any potential
didnt have either incentive for using renewable energy nor was there any mechanism for interstate sale of RE. Without such a mechanism, the entire effort can turn into sham as RE would
still be generated and used in isolated pockets only. Also, as RE is a costlier form of power,
states would not want to generate any more than the irrespective RPOs and those states with a
meager RE potential also do not use any RE in absence of any mechanism promoting its interstate purchase.
Page | 40
The National Action Plan for Climate Change announced by the Prime Minister of India in the
year 2008 advocates a greater use of RE in the country. It targets a minimum of 5% RE in the
supply mix of the entire country by 2010, 15% by 2015 and 20% by 2020. To carry its
objectives out, a mechanism has been formed which, the states generating the RE would be
able to use to ensure, that the cost they incur to produce and use RE is spread though out the
system and also to those who can not or will not produce RE. This mechanism was essential
because the existing RPO mechanism is not enough to ensure that the vision of NAPCC comes
to life.
To remove this anomaly, there was a need for an incentive mechanism, which would result in
commercial benefits for the RE generators on the one hand and which would ensure that even
those states which are deficient in RE generation are able to meet their individual RPOs,
thereby facilitating inter state RE transactions. This mechanism would allow even the SERCs of
RE deficient states to increase the RE component in their electricity mix without having to
actually generate it.
To address all these challenges and to turn the environmental celebrity of renewable energy in to
a marketable entity, the concept of Renewable Energy Certificates was developed. Apart from
facilitating inter-state RE transactions, RECs also have some other objectives as well, which can
be identified as:
a. Effective implementation of RPO obligations across all states
b.
c.
d.
e.
3.2
It is difficult to carry out inter-State sales using CERC OA Regulations for large scale
deployment of RE due to following reasons:
Therefore, a mechanism that will enable inter-state sale and purchase of renewable energy
was required.
3.3 KEY OBJECTIVES FOR INTRODUCTION OF REC MECHANISM
Reduce risks for local distributor by limiting its liability to energy purchase.
Eligible Source
Two Categories of Certificates one for Solar and other for Non-Solar.
Eligible Entities
Grid Connected RE Power Projects having NO PPA at preferential tariff and received
accreditation certificate from State Agency.
Page | 42
Obligated Entities
Sale/Purchase of REC
Transaction of REC shall take place at Power Exchanges operating under the guidance of
CERC.
Denomination
Form of REC
Pricing of REC
Redemption of REC
Obligated entities shall purchase REC from Exchange Platform and redeem it in lieu to
their fulfillment of RPO with State Agency.Only single trade (once through) permissible
Multiple trades not allowed.
Page | 43
Shelf Life
RE Generator shall apply for issuance of certificate from 3 months of energy injection in the
grid.
REC shall be valid for 1 year from the date of issuance.
As a mechanism, the concept of REC has been around in developed economies since a bit of a
while. Countries like Denmark, Germany, Norway, Japan which meet a substantial portion of
their electricity requirements through RE, have faced and overcome similar challenges as India
in the past and they were the ones which initially had propounded such a mechanism. But the
context between them and us is different. The mechanism had to be adapted to the local
legislations and other unspoken concerns, most important of which, is the presence of electricity
in the concurrent list in India. The federal structure of the country, the presence of separate
entities which make a fragmented market and regulatory bodies, were to be taken into
consideration while formulating policy concerning RECs .
What India did borrow from international experience regarding RECs was the generally
accepted view that generation of RE represented two disparate products. One was the electricity
itself and the other one was the environmental benefits of the power.
This outlook divides the RE power generated into two separate marketable entities. The
electricity sold to the distributor and the environmental benefit or which the economic system
has to pay the price, in the form of REC. Thus, REC is a tradable certificate.
An other important observation to be noted is that the RE generators will have two options either
to sell the renewable energy at preferential tariff fixed by the concerned Electricity Regulatory
Commission or to sell the electricity generation and environmental attributes associated with RE
generation separately.
Page | 44
As can be seen from the figure above, the easiest route of selling RE to the obligated entities is
through the grid, as established by the connection(1).The accounting of the RE produced by the
generators is carried out by the SLDCs(1) the information of which is forwarded to the national
registry(3).
If the generator chooses to sell their RE electricity through the REC route, he makes an
application to the national registry(2),after which a RECs is issued to the generators(4) as per the
amount of power generated, which they can trade in the power exchanges.
If these obligated entities can not achieve their RPOs, they buy RECs in the exchange to make
up for whatever is the deficit in their supply mix (5), which are redeemable at the national
registry itself (6). The compliance reporting is done to the monitoring committee of each state
(7), which submits a quarterly report to each states SERC.
Page | 45
it finds a
discrepancy in the application. The generating company has to meet one of the eligibility
criteria, as defined by the CERC, and given below, to be designated as an Eligible Entity
before the central agency can grant it registration.
a)
RE Generator does not have any power purchase agreement for the capacity with any entity
which is still in force at the time of his making an application for selling of RECs against the RE
power that produces.
b) The applicant RE generator does not have a PPA with another entity, which has been
terminated within a period of three years prior to his submission of application. Even if the PPA
Page | 46
has been terminated due to non-compliance with the contractual obligations by the RE
generator, RE generator is not eligible to sell his power through the REC route for a period of
three years.
c)
Only if the PPA has been terminated with mutual consent of both the RE generator and the
obligated entity or if the contract has been terminated due to a breach of contract by the
obligated entity to which the RE generator is selling, the RE generator may submit his
application inside a period of three years from the date of termination of the PPA.
d) RE generator has not availed or does not propose to avail any benefit in the form of
concessional/promotional
and
waiver of electricity duty(this is not related to the generation based incentives that he gets).
e) A period of three years has elapsed from the date off or going the benefits of concessional
transmission or wheeling charges, banking facility benefit and waiver of electricity duty.
f) The benefits of concessional transmission or wheeling charges, banking facility benefit and
waiver of electricity duty has been withdrawn by the State Electricity Regulatory Commission
and/or the State Government.
CERC: Rule making and transaction charge fixation. The fee and charges payable by the
a) Onetime Registration fee and charges-Rs. 1000 as the application fee, along with Rs.5000
on acceptance of the registration application, payable to the central agency.
b) Annual fee and charges, of Rs.1000 payable by April10 of each year, payable to the central
agency.
c) Transaction fee and charges for issue of certificate-charges for issuance of each certificate is
Rs.10, payable to the central agency.
d) Charges for accreditation-accreditation application charges of Rs.5000 payable to the state
agency. On acceptance of the application a further one-time charge of Rs. 30000 payable to the
Page | 47
state agency. The eligible entity is to also pay a annual charge of Rs. 10000 per application and
in case, are validation is required-a fee of Rs. 15000 for a validation period of 5 years or such a
period as determined by the commission.
Also, as per the CERC-REC Regulation clearly specifies that certain percentage of the
proceeds from the sale of certificates and not from the transaction fees, shall be utilized for the
purpose of training and capacity building of the State Agencies and other facilitative
mechanisms for the implementation and monitoring of the detailed procedures issued by the
Central Agency.
NLDC: The NLDC has been nominated by it to act as the central agency. The CERC
SLDCs: Certificationthey will account for the amount of accredited RE injected into
the grid by each of the eligible entities with in a state to the central agency and also to the state
agency.
Compliance Auditors: comply with the duties as specified by the CERC. In case of a
revocation of the license of any eligible entity, submit a detailed investigation report to the
central agency/CERC.
State Nodal Agencies: Accreditation of the RE generators for the grant of their
The diagram above shows the interaction of the SERCs, RE generators and obligated entities of
various states and the roles they play in the mechanism. In the mechanism, the forum of
Page | 48
regulators comprising of the SERCs of the various states and CERC decide upon the RE tariffs,
the power purchase cost for the DISCOMs, and the renewable power supply regulations for the
obligated entities. This forum of regulators also decides upon critical issues related to RECs like
denomination, face value, compliance rules, registry requirements, validity, eligibility of RE,
trading platforms to be used and the governance structure required by the mechanism.
As mentioned before, the RE generated has two components which are marketable-the
electricity generated, and the environmental benefits that such a power bestows on the society.
Generating RE has a cost associated with it, which is larger than the generation of conventional
power from fossil fuels. Thus there is always a risk that the RE generator would feel unfairly
constrained in the conventional market unless there is a separate policy support advocating the
use of RE. Also the mechanism has to ensure that the RE produced is optimally priced to
adequately compensate the RE generator.
Page | 49
The pricing of the electricity and the REC has to follow separate mechanisms. The electricity
tariff may be fixed according to the following mechanisms:
a)
Market prices for electricity-This is done based upon the supply-demand dynamics
price
discovery may
be
done
through
b)
UI Price-in the present system, the buyers and dispatchers of power are supposed to
follow a schedule for generation and consumption as drawn up by the respective load dispatch
Centre. Any deviation from the same leads to a fluctuation in the grid frequency from 50Hz and
based on the same the tariff changes. This is defined as the unscheduled interchange charge for
electricity. As the RE itself is a form of power that is not guaranteed, its tariff may be fixed
based on such schedules. The tariff based in these schedules is fixed by the CERC and is much
higher than that arrived at using any other method and thus there is a possibility that the RE
project will gain higher revenues although they may be uncertain(dependent on the
frequency).To reduce the uncertainty the price may be fixed at the UI frequency of50Hz.
Page | 50
c)
Average power purchase price of the distribution licensee- This is the method that is
presently being used across all the states to fix the tariff for electricity. The respective SERCs
regulate all sources of power purchase and the procurements of all distribution licensees. The
power purchase expenses are thus calculated on the basis of the aggregate revenue requirements
of the generators. This is the basis of the cost plus approach. The most important benefit of
this method is that it doesnt unnecessarily over burden the consumer. Also the average power
purchase (APP) cost is calculated by pooling the price of all the sources of power and
information pertaining to this is available well in advance. Thus there is increased certainty both
for the project developers and the end consumers regarding the price of power. But there are
serious flaws in this mechanism. Firstly several SERCs do not include the cost of short term
power purchased from traders and UI pool while calculating the APP cost. Thus in many cases
when a DISCOM is buying mainly from short term sources, its cost may go higher than the
approved APP cost. Apart from this, there is a wide variation between the APP costs of different
utilities spread across the states.
Due to this, the RE project implementer would sense better opportunities where the APP cost is
higher rather than where there are better opportunities for generating the power. Due to these
shortcomings this particular methodology is nt considered very suitable for price determination
of electricity from the RE sources.
d)
Normative or feed- in tariff or particular renewable technology-As per the New Tariff
Policy, the SERCs can specify the preferential tariff or power procurement from the RE
generators. In most cases the tariff is based on a cost plus approach. Representative sample
studies are conducted by the SERCs to calculate a normative price for different types of RE
electricity. This is considered to be one of the best methods for setting tariff from both legal and
operational point of view. This approach has already been in use in the case of RE in several
states and with a harmonization of the guiding principles for tariff fixation across states. There
are some risks for the generators upon the adoption of this mechanism though. Most of the RE
generators are using government subsidies in one way or the other. Once these subsidies start to
go down, the cost of RE project will go up in comparison to the tariff decided using this method.
Apart from pricing of the electricity generated through RE sources, another issue is the pricing
Page | 51
of the RECs that the generator is given by the NLDC. The pricing of REC can be done using
two approaches:
1.
Price discovery thorough the market-This is the price discovery using the basic
principles of matching of the supply and demand curves and arriving a tan equilibrium price for
the REC. This mechanism is essential for the long term sustain ability of the market itself and is
being
alreadyusedforpricingofelectricity.ButduethefactthattheRECconceptisstillin
developmentstageinthecountry,thismethodhastodependonseveralpolicymeasures
that
a
make
pricing through this route viable-for example the RPOs. Also certain issues like the base price,
and minimum denomination etc. can only be clarified with adequate degree of precision only
after closely monitoring the existing REC mechanism over an elaborate period of time. Thus this
method, although is a recommended method in the long term, for the initial phases this may not
be the best suited method.
2.
Price linked to the notional price of electricity generated through RE sources- This
is the method that is currently being used to fix the price of the REC and according to the
current system1MWofelectricitygeneratedthroughREisconsideredequivalentto1unitofREC and
the generator is allocated 1REC for every MW of RE electricity produced. This methodology
has many associated benefits. Th e end consumer is not over burdened; also the methodology
may be changed as the maturity of the REC market increases. As such this method doesnt have
any demerits.
Summary
Buy Bids
(REC)
Sell Bids
(REC)
Cleared Volume
(REC)
Cleared
Price(Rs/REC)
Solar
797
2,836
797
9,300
NonSolar
36,147
1,401,048
36,147
1,500
Maximum Solar
797
2,836
797
9,300
36,147
1,401,048
36,147
1,500
Minimum
NonSolar
Solar
797
2,836
797
9,300
36,147
1,401,048
36,147
1,500
Total
NonSolar
Solar
797
2,836
797
NonSolar
36,147
1,401,048
36,147
Average *
Table-3.1
1 REC = 1MWH
* Simple average for traded months only.
Page | 53
Fig-3.3
Participation
Voluntary
Denomination
Validity
Categories
1. Solar
2. Non-Solar
Trading platform
Banking
NA
Borrowing
NA
Transfer Type
Price Guarantee
Page | 54
Trading Calendar
Trading Period
Market clearing
Financial Settlement
Table-3.2
The following forbearance price and floor price are prescribed for dealing in Certificates under
the REC Regulations:
PRICE
Non-solar REC
Solar REC
(Rs/MWh)
(Rs/MWh)
Forbearance Price
1500
9300
Floor Price
3300
13400
Table-3.3
The REC mechanism has some constraints. These can be given by:
Most renewable projects other than Wind are unviable with REC floor prices, because of
this most of the renewable energy generators are selling their power to the discoms at
preferential tariff without going for REC.
Average Pooled Purchase Cost of Power for discom is low due to the surfeit of dirty power
Page | 55
(Coal).
The mechanism is there in only few countries and has suffered many issues/
changes Prone to market uncertainty.
No clarity on what happens if RECs remain unsold especially as they are valid
To overcome these problems a new kind of market can be developed where the renewable
energy producers can trade their energy through the power exchanges to the renewable energy
obligated entities.
Page | 56
Chapter 4
4.1 CALCULATION OF RPO & RECS FOR VAL, JHARSUGUDA
4.1.1 CAPACITY INMW TOGENERATIONINMU CONVERSION:
Capacity in MW X 24 Hours X 365 Days X C.U.F
Generation = ------------------------------------------------------------------------Million Units
1000
Example: Installed capacity=100 MW
Capacity utilization Factor=25%
3) Annual
consumption
of
smelter
for
FY
2010-11,FY2011-12,FY2012-13
was6144MUs,6707MUs,7768.03MUs.
FINANCIAL YEAR
ANNUAL CONSUMPTIONS
(IN MUs)
FY 2010-11
6144.00
FY 2011-12
6707.00
FY 2012-13
7768.03
Table-4.1
5) For calculating RPO, Capacity Utilization Factor play very important role for RE
Sources. The net capacity utilization factor of a power plant is the ratio of its
actual output over a period of time, to its potential output if it were possible for it to
operate at full nameplate capacity indefinitely. To calculate the capacity factor, take
the total amount of energy the plant produced during a period of time and divide by
the amount of energy the plant would have produced at full capacity.
6) The Renewable Purchase Obligation (RPO) is calculated on the basis of the average
consumption of smelter for the last three financial years shown above and is 6873
MUs. By using conversion formula as per OERC predetermined percentage
individually for Solar, Non-solar, Co-generation RECs can be calculated.
8) As we know that as per OERC any obligated entities have to fulfill their RPO
(Minimum quantum of Renewable Energy purchase in % of total Energy
consumption in the State) individually by Renewable (Solar & Non-solar) &Cogeneration.
9) Here we can see from table given below Solar RPO increases every financial year
by 0.05%, Non-Solar RPO by 0.20% & Co-generation by 0.25%.
Page | 58
Year-wise
target
Co-generation
Total
Solar
Non-solar
2011-12
0.10
1.20
3.70
5.00
2012-13
0.15
1.40
3.95
5.50
2013-14
0.20
1.60
4.20
6.00
2014-15
0.25
1.80
4.45
6.50
2015-16
0.30
2.00
4.70
7.00
Table-4.2
CUF for solar sources varies based on technology, as we can see from table that it is
Weighted
Average PRICE
PER UNIT (Rs)
8.98
10.21
TOTAL PROJECT
COST(in
crores)/MW
8.05
8.85
CUF
(IN %)
16.10%
18.75%
11.28
9.45
20.88%
12.31
12
25.99%
Table-4.3
Page | 59
on that basis we can say that capacity of solar plant will be minimum. Here a table is given
below which shows the requirement in term of MW for respective year based various
technologies.
SOLAR SOURCES
(On Technology basis)
Requirement in terms
of MW for 2013-14
Requirement in terms of
MW for 2014-15
SOLAR PV
SOLAR PV WITH
TRACKING SINGLE
AXIS
SOLAR PV WITH
TRACKING DUAL
AXIS
SOLAR THERMAL
9.75
8.37
12.18
10.46
Requirement in
terms of MW for
2015-16
14.61
12.55
7.52
9.39
11.27
6.04
7.55
9.06
Table-4.4
Below, there is a graph between required capacity (MW) VS solar technologies for FY
40
35
30
25
20
15
10
5
0
SOLAR PV
SOLAR PV
WITH
TRACKING
SINGLE AXIS
SOLAR PV
WITH
TRACKING
DUAL AXIS
SOLAR
THERMAL
Fig-4.1
Page | 60
Under Non-solar RPO Odhisa electricity regulatory commission says that non-solar RPO
can fulfill by any of RE sources like wind, biomass, small hydro, municipal solid waste & RE
based Co-generation.
CUF
3.49
4.73
4
4
50%
53%
19%
75%
35%
Table-4.5
CUF for wind power generation is lowest while requirement capacity (In Mw) is highest
& for biomass power plant it is vise-versa, so we can make a conclusion that biomass
power(which has highest CUF) is more economic than any other type RE plant.
Requirement in terms of
MW for 2013-14
Requirement in terms of
MW for 2014-15
Requirement in terms of
MW for 2015-16
WIND
65.49
74.33
82.56
BIOMASS
16.59
18.83
20.92
SHP(<5 MW)
**MSW
RE CO-GEN
35.55
24.89
23.48
40.35
28.24
26.65
44.83
31.38
29.60
Table-4.6
Page | 61
To meet non-solar RPO we can install either any one type RE Sources or combination of
more than two but a large variation will take place in term of money.
250
200
150
100
50
0
WIND
BIOMASS
SHP(<5
MW)
**MSW
RE CO-GEN
Fig-4.2
4.4 REC CALCULATION:
Page | 62
Chapter 5
RE POTENTIAL IN VAL, JHARSUGUDA AND ODISHA
5.1 ANALYSIS OF RE POTENTIAL IN VAL, JHARSUGUDA
Geographical location of Jharsuguda: The area of Jharsuguda district is 2081 square
kilometers. It is an upcoming industrial hub, basically in the metal and cement sectors.
Jharsuguda is well connected to all major cities of India through rail network. It is popularly
known as the power house of Odisha due to large number of thermal power plants located
nearby.
Latitude(Deg.) Longitude(Deg.) Altitude(meter)
Annual G (W/m2)
Jharsuguda
21.85
84.03
217
217
Table-5.1
Solar irradiance figure of Jharsuguda (Month wise) is given below in the table
Solar Irradiance Figure of Jharsuguda (Annual Average 4.93KWh/Sq. m./day)
SL NO.
MONTH
Jan
4.43
Feb
5.12
Mar
5.75
Apr
6.28
May
6.42
Jun
5.26
Jul
3.88
Aug
4.12
Sep
4.50
10
Oct
4.57
11
Nov
4.54
12
Dec
4.38
Table-5.2
Page | 63
As per the survey of OREDA; Jharsuguda has the 3rd highest Solar irradiation density in
3
2
1
jan
feb
mar
apr
may
jun
july
aug
sep
oct
nov
dec
Fig-5.1
We did a survey in VAL site which has overall area of 4500 acre (approximately 18.29 sq.
km). Out of which 50 acre area can be feasible to put Solar or Biomass or RE co-gen plant.
According to CERC data 1MW solar pv plant require 4.5-5 acre area of land. So inside VAL
we have 10MW potential of Solar PV/Solar thermal.
Here we can also use a Hybrid RE Power plant in which we can put a combination of Solar
and Biomass plant in same location.
Page | 64
SITE NAME
SITE NEAR INTERIM
site-1 in front of Guest House
site-2 near site-1
site-3 near conveyor belt of IPP
site-4 buildings near conveyor belt of IPP
SITE NEAR PMO OFFICE
site-5 Pmo building
site-6 garden near pmo office
site-7 garden opposite pmo office
SITE NEAR PLANT 1 SITE OFFICE
site-8 water distribution pump house
house & treatment plant
SITE NEAR CPP
SITE-9RCBF BUILDING
site-10 cpp plant building
Car parking in cpp&pmo
site-11 opposite cooling tower
SITE NEAR SMELTER 1
STORE-4 BUILDING
STORE HOUSE NEAR COMPRESSOR
HOUSE
CAR PARKING OPPOSITE POT ROOM
ALF3 WAREHOUSE
PROPELIA 1 TO 5 BUILDING
Raw Material store house
Central Engg. Lab
Building behind engg. Lab
SITE NEAR PLANT 2 EXTENSION
OFFICE
site-2 extension office building
site office building potline-2
smelter-1 buildings
SITE NEAR VEDANTA MEADOWS
Training Community Centre building
all building except Rusikulya
AREA(SQ.
METER)
15080
13500
4800
280
75400
67500
24000
1400
264
1350
7600
1320
6750
38000
200
100
1000
500
350
1950
600
1600
1750
9750
3000
8000
5280
26400
1725
600
1500
34500
1425
300
750
8625
3000
7500
172500
7125
1500
3750
7200
6000
2900
36000
30000
14500
1305
16800
6525
84000
Page | 65
BOY'S HOSTEL
rusikulya
BUILDING NEAR COMMUNITY CENTER
2250
2000
900
11250
10000
4500
34500
172500
SUM TOTAL
167609
838045
Table-5.3
In VAL site there is no scope of Wind and Small hydro Power. So we are left with
1Mw Solar power plant require 4.5 to 5acre, if we include road network then
overall sites 50 acre which has 10Mw potential.
Land cost for installing Solar power is around 2% ,Vedanta Aluminium Ltd. can
save that cost & here we find various sites in plant.
Odisha Needs Power to support GSDP Growth Rate of 9.57 %, massive Rural Electrification,
Rapid IndustrializationOdisha needs additional capacity of 10,000 MW by end of 13th plan
(2021-22).
Page | 66
Table-5.4
Page | 67
Area ( sq KM)
7537.96
618.05
Sandy land
77
135.68
Total
8368.69
Table-5.5
Calculation of the probable annual energy generation from the solar power generation
projects in Odisha.
b. Estimation and validation of correct annual energy generation from a solar configuration /
technology proposed by the developer would be a critical exercise for the Commission especially
in absence of the operational data of commissioned project. The consultant has estimated the
annual energy generation by using the advanced software namely, METEONORM for solar
radiation data (which maintains the ground as well as satellite solar radiation database and
generate solar insolation data for the given location) . The solar insolation file generated by
METEONORM will be provided as input data to software Solar Advisory Model (SAM)
developed by National Renewable Energy Laboratorys (USA) (NREL). By using the two
softwares probable annual energy generation from three different configurations (Fixed solar
PV, solar PV two axis tracking and solar thermal parabolic trough ) can be worked out at any
specified location which requires that the latitude , longitude and mean elevation from sea level
needs to be provided as input to the software.
c. By using the above software, the consultant has computed the annual energy generation at
five potential locations in Odisha namely Angul, Dhenkanal, Jharsuguda, Talcher, Titlagarh.
d. The results of the calculation are shown in the following table.The methodology for
Page | 68
calculation of annual energy generation and related solarinsolation data file generated by
METEONORM.
National Action Plan on Climate Change (NAPCC) aims at increasing the share of
Renewable Sources of Energy from 5% of the total energy mix in 2010 to 15% by 2020. The
Commission vide Notification dt.30.09.2010 issued OERC (Renewable & Cogeneration
Purchase Obligation and its Compliance) Regulation, 2010 and vide Regulation-3 fixed the yearwise as well as source-wise RPO for compliance by GRIDCO and the obligated entities during
the obligated period from FY 2011-12 to 2015-15 as shown in the Table.
SITE DATA
SOLAR PV-
SOLAR
SOLAR
FIXED
PV2
THERMAL
AXIS
PARABOLIC
TROUGH
Sl.
No.
Site
Lat.
Long.
Alt.
Annual G
(Deg.)
(Deg.)
(m)
(W/m2)
CUF (%)
CUF (%)
CUF (%)
1.
Angul
20.85
85.10
194
214
15.92
20.44
23.37
2.
Dhenkanal
20.67
85.60
79
210
15.46
19.78
22.08
3.
Jharsuguda
21.85
84.03
217
217
16.10
20.88
25.99
4.
Talcher
20.95
85.22
77
214
15.87
20.34
23.39
5.
Titlagarh
20.30
83.15
214
219
15.93
20.71
26.17
15.86
20.43
24.20
Average
Table-5.6
Page | 69
Year-wise
target
Co-generation
Total
Solar
Non-solar
2011-12
0.10
1.20
3.70
5.00
2012-13
0.15
1.40
3.95
5.50
2013-14
0.20
1.60
4.20
6.00
2014-15
0.25
1.80
4.45
6.50
2015-16
0.30
2.00
4.70
7.00
Table-5.7
e. OREDA submitted before the Commission during hearing dated 08.09.2011 that based on
OERC RPO Regulations, 2010 OREDA has assessed the cumulative capacity addition required
during the 1st Obligated Period to meet the RPO of the State as shown in table:
Wind
SHEPs
Bio-
Co-gen
Total
mass
2011-12
30358
58
267
333
2012-13
36862
27
24
79
130
2013-14
39912
15
25
10
52
102
2014-15
40578
15
25
10
41
91
2015-16
43062
16
50
41
107
81
100
102
480
763
Total
Table-5.8
Page | 70
f. The Commission in its order dtd.23.09.2011 in Case No.64 of 2011 has agreed to the
projection in State power demand stipulated in 17th EPS of CEA for 12th plan period (2012-17)
and has assessed the consumption of industries having CGPs for FY 2011-12 as 20,000 MU and
considering the increment of 10% / annum in industrial consumption from CGPs, the
requirement of solar power by the obligated entities including GRIDCO to meet SPO during 1 st
Obligated Period from FY 2011-12 to FY 2015-16 is indicated in table below:
Solar Power Required in Odisha to meet SPO during 1st Obligated Period (2011-16)
FY
Grid
Consumption of
Total
SPO
Cumulative
Cumulative
consumption as
Industries
consumption of
approved
solar energy
solar power
per 17 EPS
having CGPs
Odisha
(in % )
required
capacity
(in MU)
(in MU)
(in MU)
(in MU)
required
th
(in MW)
2011-12
27149
20000
47149
0.10
47.149
26.91
2012-13
29204
22000
51204
0.15
76.806
43.84
2013-14
31415
24200
55615
0.20
111.23
63.49
2014-15
33793
26620
60413
0.25
151.03
86.20
2015-16
36351
29282
65633
0.30
196.90
112.38
Table-5.9
Hence, OREDA has to gear up to encourage the solar power developers for capacity addition
required in each FY during the 1st Obligated Period so as to meet SPO failing which RECs at
exorbitant rates will have to be procured.
g. Science and Technology Dept., Govt. of Odisha vide letter No. 4940 dtd.07.09.2011
submitted before the Commission as under:
Odisha has great potential to accelerate the use of its renewable sources to meet its energy
requirement and enhance economic growth. It is to state that OREDA will be able to fulfill the
necessary requirement for harnessing the renewable energy potential in Odisha. OREDA has
already taken steps for setting up Renewable Energy Power Plants in the State.
Page | 71
The renewable energy sources will pick up in a big way in Odisha from FY 2012-13 onwards
due to Wind Resource Assessment (with 80 mt. high mast), setting up of Renewable Energy
Industrial Parks and Solar Industrial Parks, reduction in capital cost of solar energy and lower
cost of generation of electricity resulting into good prospects in the technology for both solar and
wind.
Keeping in view the available potential, continuous improvement in the technology and
reduction in cost of electricity generation, S&T Dept. and OREDA are taking timely action not
only for meeting RPO but also harnessing renewable energy potential in a big way in Odisha.
In order to enhance the activities of OREDA, necessary steps will be taken for raising the
manpower with requisite expertise in future so that renewable energy is fully tapped for meeting
energy requirement for the State.
5.5DRIVERS OF GROWTH:
Fig-5.2
The following are major drivers of growth of renewable energy in India.
Page | 72
power producers to claim accelerated depreciation (AD) at the rate of up to 80% in the first year
on a written-down value (WDV) basis under Section 32, Rule 5 of the Income Tax Act. This was
the most significant driver of renewable energy capacity addition in the past. However, this has
resulted, to some extent, in mushrooming of players with the purpose of off-setting income from
other business to claim tax benefits rather than actual production of electricity. However, AD for
wind power projects has been withdrawn recently to attract attention from more serious players
for development of Renewable Energy.
Generation based incentives: The GoI along with Indian Renewable Energy
development Agency (IREDA) as the nodal agency, had introduced a scheme for grid interactive
wind power projects which provided an incentive of Rs 0.50 per kilowatt-hour (kWh), with a cap
of Rs. 15 lakh per MW per year, totaling Rs. 62.5 lakh per MW to be availed for a minimum of
four years and maximum of 10 years. The scheme was however limited to a capacity of first
4,000 MW commissioned through GBI on or before 31 March, 2013. Recently the central
government withdrew AD benefit for wind projects. This has slowed down wind energy capacity
addition by almost 50% on year-on-year basis. However, there is a possibility of reinstatement of
GBI to attract investments in wind sector.
Subsidy in equipment imports: Some technologies like small hydro, biomass and solar
PV (off grid) systems are provided support through capital subsidy based on installed capacity.
For example, Ministry of New and Renewable Energy (MNRE) provides a capital subsidy of
30% for off-grid and decentralized solar photovoltaic (SPV) applications.
National Solar Mission: The Mission has set an overall target of 20,000 MW in three
phases: first phase up to 2012/13, second phase from 2013 to 2017, and the third phase from
2017 to 2022. The mission targets capacity of grid-connected solar power generation to 1,000
MW by 2013 and 4,000 MW by 2017. It is further envisioned that the solar capacity addition
could reach 10,000 MW by 2017 and 20,000 MW by 2022. JNNSM targets, including grid
connected, off-grid application and for solar collectors, are provided in the table below.
Page | 73
Table-5.10
Income Tax Holiday: Section 80 IA of the Income Tax Act offers a 10-year consecutive
tax holiday period within a block of first 15 years during the life cycle of all infrastructure
projects which also includes renewable energy power generation projects.
Feed-in-tariff: Central and state electricity regulatory commissions (CERCs and SERCs)
have notified wind-specific feed-in-tariff for electricity generated from wind. Also, state-specific
tariff for solar energy in states such as Rajasthan, Gujarat, Madhya Pradesh, and Karnataka have
been announced. Such preferential tariffs have provided attractive returns to investors leading
them to set up projects in various states.
Fig-5.3
SOLAR SITES IN ODISHA :
Fig-5.4
Page | 75
Fig-5.5
Page | 76
Fig-5.6
BIOMASS POWER POTENTIAL IN ODISHA
Fig-5.7
Page | 77
Page | 78
Chapter 6
6.1 COMPARATIVE FINANCIAL ANALYSIS OF RE SOURCES:
RE sources included solar, wind, biomass, small hydro, RE cogeneration & municipal solid
waste, but installation cost of each type sources varies now the main task to meet RPO with
optimized cost. In our project basically we are doing financial analysis on three parameter:
S. NO.
RE SOURCES
INSTALLATIONC
OST PER MW
(IN CRORE)
LEVELISEDTARIF
F PER UNIT
LEVELISED
BENEFIT/UNIT
Solar PV
Solar thermal
8.00
12.00
8.75
11.90
0.88
1.21
Wind
5.98
4.19
0.33
SHP (<5Mw)
(5Mw to 25 Mw)
6.24
5.72
5.16
5.15
0.35
0.41
5.83
5.88
5.20
0.14
0.20
0.24
1.
2.
3.
4.
5.
6.
Biomass
RE-Cogen
Muncipal solid waste
4.63
4.36
4.10
Table-6.1
This financial analysis provide a clear picture what we choose to meet RPO of VAL,
Jharsuguda either install its own plant or purchase RECs, another choice may be more
economical to choose combination of both.
From table we can see that cost of installing power plant based on municipal solid waste,
RE-cogeneration & biomass is less comparatively other RE Sources like wind & solar type.
Capacity utilization factor of biomass & RE-Cogeneration is also having larger value; it
As we know that VAL, Jharsuguda has to meet its RPO individually by Solar, Non-Solar,
Page | 79
Co-generation but one benefit to VAL that it already has captive cogeneration plant of 90Mw in
Langigarh so it does need to meet its co-generation renewable purchase obligations.
SOLAR PV
SOLAR PV WITH
TRACKING SINGLE
AXIS
SOLAR PV WITH
TRACKING DUAL
AXIS
SOLAR THERMAL
74.07
92.57
111.07
71.064
88.74
106.5
72.48
90.6
108.72
Table-6.2
6.2.1 NET PROFIT PER YEAR FROM SOLAR PLANT:
Central electricity regulatory commission (CERC),New Delhi has notified generic tariff for FY
2013-14 under regulation 8 of the RENEWABLE ENERGY SOURCES REGULATIONS 2012
in petition no. 243/SM/2012 (Suo- Motu).
As per CERC, cost of putting solar PV plant is 800 lakhs while solar thermal is 1200 lakhs
(much higher than solar PV).we calculated solar quantum obligation upto FY 2015-16,it is found
that required installation capacity of solar thermal is less than solar PV because solar thermal
plant annually generated more no. of unit, annual net profit from solar PV & solar thermal is
2.14 crore and 2.41 crore rupees but the important point that life of solar power plant is around
25 years so these plant provide benefit a no. of years. we can also install solar PV with tracking
Page | 80
system (single or dual axis) but cost of plant, annually units generated, CUF will varies
comparatively normal type solar PV. Tracking based solar has more efficiency but it is economic
for putting solar plant of more than 1Mw.
Plant
type
Required capacity
of plant(In Mw)
Annual units
generated per MW
Total
units
Benefit
per unit
Solar
PV
Solar
thermal
14.61
1664400
24316884
0.88
Net
Profit
(In lakhs)
213.99
9.06
2190000
19841400
1.21
240.09
Table-6.3
PV modules constitute around 43% of total project cost so we should focus our attention
to choose the PV model .
Vedanta Aluminium Ltd. has around spread across 4500 acre land out of which 50 acre
land can be used for solar power plant purpose including roof-top buildings so it will save
2% cost of project by using its site land.
Another major break-up cost is covered by civil & general work, mounting structure
which is approx. 25% totally depend on choosing the outsourcing agencies & vendors.
S.NO
Particulars
% of Total Cost
PV Modules
340.50
43%
Land Cost
16.80
2%
94.50
12%
Mounting structure
104.50
13%
Page | 81
104.50
13%
56.00
7%
80.00
10%
800.00
100%
Table-6.4
6.3 FINANCIAL ANALYSIS FOR NON-SOLAR RPO :
RE SOURCES
WIND
307.82
349.34
388.16
BIOMASS
65.53
74.37
82.64
SHP(<5 MW)
**MSW
RE CO-GEN
195.54
99.55
93.91
220.92
112.98
106.58
246.58
125.53
118.42
Table-6.5
As we can see from table no. 6.5 that putting wind power plant is very costly
Comparatively other plant because wind power plant generates lowest no. of units.
Here we calculate RPO for current & next two financial year it is suggest that ,if VAL
want to installing any type RE power plant it should meet the RPO for FY2015-16 or left
the plant for further expansion.
Page | 82
SHP
Plant
type
Required
capacity of plant
(In Mw)
Annual units
generated
per MW
Total
units
Benefit
per unit
(In Rs.)
Net Profit
(In lakhs)
Wind
82.58
1664400
137446152
0.33
453.57
3066000
137444400
0.35
481.07
563.53
192.43
<5Mw
5 to 25 Mw
44.83
Biomass
20.92
6570000
137448780
0.41
0.14
RE-Cogeneration
29.6
4642800
137444400
0.20
329.86
MSW
31.38
4380000
137426880
0.24
274.85
Table-6.6
Here we can see from table no. 6.6 that maximum profit will be generated by put small hydro
power plant(>5Mw) which is 5.64 crore while the lowest profit by biomass 1.92 crore rupee
as per CERC renewable energy tariff FY 2013-14.
6.2.4 Financial analysis of RECs:
SOLAR RECs TO MEET RPO OF VAL,JHARSUGUDA
NO. OF RECs
REQUIREMENT
13746
NO. OF RECs
REQUIREMENT
17183
NO. OF RECs
REQUIREMENT
20619
FY 2013-14
FLOOR PRICE
FORBEARANCE PRICE
12,78,37,800
18,41,96,400
FY 2014-15
FLOOR PRICE
FORBEARANCE PRICE
1,59,801,900
2,30,252,200
FY 2015-16
FLOOR PRICE
FORBEARANCE PRICE
1,91,756,700
2,76,294,600
Table-6.7
Page | 83
If any captive consumer is not installing its own power plant or buying from distribution
licensee then it is mandatory to buy renewable energy certificate by exchange to meet RPO
as per OERC.
VAL, Jharsuguda has another option to meet its RPO by installing its own solar power plant
in surplus as per requirement and sell the Solar RECs in the trading exchange.
We can purchase Non-Solar RECs by exchanging from Solar RECs in IEX or PXIL.
Requirement of RECs increases by 0.05% in consecutive years till 2022 as per JNNSM.
Any RE generator putting either Solar PV or Solar Thermal will generate same amount of
Solar RECs (Floor Price per RECs Rs. 9300, Forbearance price Rs 13400).
NO. OF RECs
REQUIREMENT
122634
NO. OF RECs
REQUIREMENT
137460
FY 2013-14
FLOOR PRICE
FORBEARANCE PRICE
16,35,12,000
35,97,26,400
FY 2014-15
FLOOR PRICE
FORBEARANCE PRICE
18,39,51,000
40,46,92,200
FY 2015-16
FLOOR PRICE
FORBEARANCE PRICE
20,61,90,000
45,36,18,000
Table-6.8
As per current scenario to install wind, Biomass, SHP, MSW are more costly than Solar
Plants because Pay Back Period of Non-Solar Power Plants are longer.
The Price of Non-Solar RECs is less than that of Solar RECs (Floor Price per RECs Rs.
In Power Exchange market the price of Solar and Non-Solar RECs are decided on the
Page | 84
NO. OF RECs
REQUIREMENT
279393
NO. OF RECs
REQUIREMENT
295090
FY 2014-15
FLOOR PRICE
FORBEARANCE PRICE
41,90,89,500
92,19,96,900
FY 2015-16
FLOOR PRICE
FORBEARANCE PRICE
44,26,35,000
97,37,97,000
Table-6.9
As per OERC norms a Captive consumer has to meet RPO individually by Solar, NonSolar and Co-Gen but to meet Non-Solar and Co-Gen Obligations it has to buy Non-Solar
RECs from exchange market.
VAL has its own Captive Co-generation plant(90 Mw) in Lanjigarh.So it is not required
to meet Co-Gen RPO.
350000
300000
250000
NO. of Solar RECs
200000
150000
100000
50000
0
FY 2013-14
FY 2014-15
FY 2015-16
Fig-6.1
Page | 85
Chapter-7
7.1 SUGGESTIONS & RECOMMENDATIONS:
Since the Solar potential of Jharsuguda region is high, it can be suggested that VAL,
Jharsuguda can meet its RPO by installing a Solar Power Plant.
Ind-Bharat Energy Utkal Limited has its own Biomass Power Plant in Jharsuguda, So in
order to meet its Non-Solar RPO it can purchase power from that company.
The amount of electricity generated from the RE sources can be used for the power used
either inside VAL, township or electrical appliances inside the company.
The subsidy provided by central government for SHP is 50% of the capital cost and the life
of SHP is 35years as well as the net profit from this kind of plant is 5.6 crore per year as per
CERC RE Tariff Regulation FY2013-14.
It is suggested that VAL should install its own Solar Power Plant in Surplus than its RPO
requirement, So that the surplus quantity can fetch Solar RECs which can be exchanged with
Non-Solar RECs.
OERC has declared RPO requirements for entities inside odisha territory till the FY2015-16.
So VAL should plan for meeting its current as well as future RPO. Before installing any RE
based plant it should take care in mind for further capacity expansion of these power plants.
Penalty charged every year by OERC at forbearance price (Solar RECs-Rs.13400, Non-Solar
RECs- Rs 3300).Hence it is better to install its own power plant or purchase electricity from
RE generator. Otherwise it can also purchase some quantities of RECs and the remaining can
be fulfilled by the other ways.
Page | 86
7.2 BIBLIOGRAPHY
[1] J.M Erikson and W. H. Holmes, The Law of wind Power Purchase Agreements and
Environmental Attributes. www. AGMRC.org
[2] RPO Report. FERC Energy Policy
[3]T. Logan, C. Shah and G. Robbinson, REC Mechanism Checklist for State and Local
Governments, Fact Sheet Series on Financing Renewable Energy Projects, 2010.
[4] C. Shah, Consumer Sited Power Purchase Agreements, National Renewable Energy
Laboratory (NREL), June 2013.
[5] Solar Power Purchase Agreements Green Power Partnership US EPA
http:/www.epa.gov/greenpower/buygp/solarpower.htm, 2011
[6] Guide to Purchasing Green Power, Renewable Electricity, Renewable Energy Certificates
and Onsite Renewable Generation, DOE/EE-3307, 2011.
[7] CERC- Terms and Conditions of Tariff along with all its amendments
[8] CERC Renewable Energy Terms and Conditions of Tariff 2009-14
[9] CEA Concurrence to Private Hydro Power on 10th June, 2012
[10] New Hydro Policy
[11] CERC Order on Tato II Hydroelectric Power Project
[12] National Electricty Policy and National Tariff Policy with amendments
[13] CERC Order No 255/2010 on Determination of Benchmark capital cost norm for solar PV
projects during FY 2013-14
[14] New CERC Regulations To Encourage Investment, Efficiency in Power Sector by ICRA
Page
[15] Orissa Hydro Power Policy, 2008
[16] Assessment of REC Mechanism by C. Shah for Department of Energy
[17] www.cea.nic.in on 31st June, 2013 and 17th July 2012.
[18] www.cercind.gov.in on 11th June, 17th June, 05th July and 21st July, 2013.
[19] www.derc.gov.in on 06th June and 19th June, 2012.
[20] www.powermin.nic on 11th July, 2012.
[21] www.mnre.gov.in on 15th July 2012
Page | 87
[22] www.forumofregulators.com
[23] www.erldc.org
[24] www.envfor.nic.in
[25] www.sterliteenergy.co.in
[26]OERC Consultative Paper on MYT for 2013-2017.
[27] EA-2003
[28]IEGC-2010
[29]TERI policy brief, Dec 2012
Page | 88
Annexure -1
Sub-Head (2)
Unit
Asumptions
MW
%
Years
1
19.0%
25
Rs Lacs/MW
Tariff Period
Years
Debt
70%
Equity
30%
Rs Lacs
560.00
Rs Lacs
240.00
Loan Amount
Moratorium Period
Repayment Period(incld Moratorium)
Interest Rate
Rs Lacs
years
years
%
560.00
0
12
13.00%
Equity amount
Return on Equity for first 10 years
RoE Period
Return on Equity 11th year onwards
Weighted average of ROE
Rs Lacs
% p.a
Year
% p.a
240.00
20.00%
10
24.00%
22.40%
2 Project Cost
Capital Cost/MW
800
3 Financial Assumptions
25
Debt: Equity
Debt Component
Equity Component
Discount Rate
10.95%
4 Financial Assumptions
Fiscal Assumptions
Income Tax
MAT Rate (for first 10 years)
80 IA benefits
%
%
Yes/No
%
%
32.445%
20.000%
Yes
Depreciation
5.83%
1.54%
12
5 Working Capital
For Fixed Charges
O&M Charges
Maintenance Spare
Receivables for Debtors
(% of O&M exepenses)
Months
%
Months
1
15%
2
power plant
Total O & M Expenses
Rs. Lacs
%
Escalation
13.50%
11.63
5.72%
Page | 89
Annexure-2
Sub-Head
Sub-Head (2)
Unit
Assumptions
Capacity
1
23.0%
10.0%
25
MW
%
%
Years
Rs Lacs/MW
Tariff Period
Years
Debt
Equity
Total Debt Amount
Total Equity Amout
%
%
Rs Lacs
Rs Lacs
70%
30%
840
360
Loan Amount
Moratorium Period
Repayment Period(incld Moratorium)
Interest Rate
Rs Lacs
years
years
%
840.00
0
12
13.00%
Equity amount
Return on Equity for first 10 years
RoE Period
Return on Equity 11th year onwards
Weighted average of ROE
Rs Lacs
% p.a
Year
% p.a
%
360.00
20.00%
10
24.00%
22.40%
Discount Rate
10.95%
Income Tax
MAT Rate (for first 10 years)
80 IA benefits
%
%
Yes/No
%
%
2 Project Cost
Capital Cost/MW
1200.00
3 Sources of Fund
25
Debt: Equity
Debt Component
Equity Component
4 Financial Assumptions
Fiscal Assumptions
32.445%
20.000%
Yes
Depreciation
5.83%
1.54%
12
5 Working Capital
For Fixed Charges
O&M Charges
Maintenance Spare
(% of O&M exepenses)
Receivables for Debtors
For Variable Charges
Interest On Working Capital
6 Operation & Maintenance
power plant
Total O & M Expenses Escalation
Months
%
Months
%
Rs Lacs
%
1
15%
2
13.50%
15.86
5.72%
Page | 90
Annexure-3
Odisha
Select State
Sub-Head
Sub-Head (2)
Unit
Assumptions
Capacity
Installed Power Generation Capacity
Auxillary Consumption during stablisati
Auxillary Consumption after stabilisatio
PLF(Stablization for 6 months)
PLF(during first year after Stablization)
PLF(second year onwards)
Useful Life
MW
%
%
%
%
%
Years
1
10%
10%
60%
70%
80%
20
Rs Lacs/MW
463.336
Debt
Equity
Total Debt Amount
Total Equity Amout
%
%
Rs Lacs
Rs Lacs
70%
30%
324.335
139.001
Loan Amount
Moratorium Period
Repayment Period(incld Moratorium)
Interest Rate
Rs Lacs
years
years
%
324.335
0
12
13.00%
Equity amount
Return on Equity for first 10 years
RoE Period
Return on Equity after 10 years
Rs Lacs
% p.a
Year
%
139.001
20.00%
10.00
24.00%
%
%
22.00%
10.95%
Income Tax
MAT Rate (for first 10 years)
80 IA benefits
%
%
Yes/No
32.445%
20.000%
Yes
%
%
2Project Cost
Capital Cost/MW
3Financial Assumptions
Debt: Equity
Debt Component
Equity Component
4 Financial Assumptions
Fiscal Assumptions
Depreciation
5.83%
2.51%
12.00
5Working Capital
For Fixed Charges
O&M Charges
Maintenance Spare
(% of O&M exepenses)
Receivables for Debtors
For Variable Charges
Biomass Stock
Interest On Working Capital
6 Fuel Related Assumptions
Heat Rate
After Stabilisation period
During Stablization Period
Months
Months
1
15%
2
Months
%
4
13.50%
Kcal/kwh
Kcal/kwh
4000
4000
Biomass
Base Price
GCV - Biomass
Biomass Price Escalation Factor
7Operation & Maintenance
power plant
Total O & M Expenses
Escalation
Rs/T
Kcal/kg
Rs Lacs
%
2653.07
3300
5.00%
25.37
5.72%
Page | 91
90%
5.28%
80%
20.00%
32.45%
463.33
6
1
2
3
4
5
6
7
8
9
2.64% 5.28% 5.28% 5.28% 5.28% 5.28% 5.28% 5.28% 5.28%
Unit
%
Rs
Lakh
%
%
%
Rs
Lakh
12.23
24.46
24.46
0.00%
0.00%
0.00%
Rs
Net Depreciation Benefit Lakh
Rs
Tax Benefit
Lakh
Net Energy generation
MU
Per unit
benefit
Rs/Unit
Discounting Factor
24.46
24.46
24.46
24.46
3.71
0.74
24.46
0.15
24.46
0.03
24.46
10
5.28%
231.67 208.50
18.53
0.01
0.00
0.00
219.44 184.04
-24.46
71.20
2.56
59.71
6.31
-1.92
6.31
-6.73
6.31
-7.70
6.31
-7.89
6.31
-7.93
6.31
-7.94
6.31
-7.94
6.31
-7.94
6.31
2.78
0.95
-0.03
-0.11
-0.12
-0.13
-0.13
-0.13
-0.13
-0.13
1.00
0.95
0.86
0.77
0.70
0.63
0.56
0.51
0.46
0.41
11
5.28%
24.46
12
5.28%
24.46
13
5.28%
24.46
14
5.28%
24.46
15
5.28%
24.46
16
5.28%
24.46
17
5.28%
24.46
18
2.88%
13.34
19
0.00%
0.00
20
0.00%
0.00
0.00%
0.00%
0.00%
0.00
0.00%
0.00%
0.00%
0.00
0.00%
0.00%
0.00%
0.00
0.00%
0.00%
0.00%
0.00
0.00%
0.00%
0.00%
0.00
0.00%
0.00%
0.00%
0.00
0.00%
0.00%
0.00%
0.00
0.00%
0.00%
0.00%
0.00
0.00%
0.00%
0.00%
0.00
0.00%
0.00%
0.00%
0.00
-24.46
-7.94
6.31
-0.13
-24.46
-7.94
6.31
-0.13
-24.46
-7.94
6.31
-0.13
-24.46
-7.94
6.31
-0.13
-24.46
-7.94
6.31
-0.13
-24.46
-7.94
6.31
-0.13
-24.46
-7.94
6.31
-0.13
-13.34
-4.33
6.31
-0.07
0.00
0.00
6.31
0.00
0.00
0.00
6.31
0.00
0.30
0.27
0.14 (Rs/kWh)
0.25
0.22
0.20
0.18
0.16
0.15
0.37
0.34
Levellised benefit
Page | 92