NERC Submits Supplemental Comments for Primary Frequency Response NOPR
- Filter By Electric Reliability Law Blog
On October 10, 2017, in Docket No. RM16-6-000, NERC submitted supplemental comments in response to FERC’s Notice of Request for Supplemental Comments on the NOPR regarding proposed revisions to FERC’s rules and regulations on Primary Frequency Response. The NOPR proposes to impose frequency response requirements on newly interconnecting generation. NERC’s supplemental comments note that the Commission’s proposed frequency response requirements should apply to storage interconnecting with the Bulk Power System (BPS).To view NERC’s filing, click here.