HomeMy WebLinkAboutResolutions - No. 2006-19RESOLUTION NO. 2006-19
A RESOLUTION OF THE LODI CITY COUNCIL
APPROVING THE CITY OF LODI ENERGY RISK
MANAGEMENT POLICIES
NOW, THEREFORE, BE IT RESOLVED that the Lodi City Council does hereby
approve the City of Lodi Energy Risk Management Policies, as shown on Exhibit- A
attached hereto and made a part of this Resolution.
Dated: January 18, 2006
I hereby certify that Resolution No, 2006-19 was passed and adopted by the Lodi
City Council in a regular meeting held January 18, 2006, by the following vote:
AYES: COUNCIL MEMBERS a Beckman, Hansen, Mounce, and
Mayor Hitchcock
NOES: COUNCIL MEMBERS — Johnson
ABSENT: COUNCIL MEMBERS None
ABSTAIN: COUNCIL MEMBERS — None
SUSAN J. BLACKSTON
City Clerk
2006-19
City of Lodi
Energy Risk Management Policies
January 7, 2006
Purpose:
EXHIBIT A
The purpose of the Risk Management Program is to ensure that risks associated with
Lodi's bulk power procurement program axe properly identified, measured and
controlled.
Scope:
The policies are to be applied to all aspects of Lodi's wholesale procurement and sales
activities, long-term contracting associated with energy supplies, capital projects and
associated financing documents related to generation, transmission, transportation or
storage, and participation in Joint Powers Agencies (WA's),
These policies do not address the following types of general business risk, which are
treated separately in other official policies, ordinances, and regulations of the city: fire,
accident and casualty, health, safety, workers compensation and other such typically
insurable perils.
Risk Management Program Strategies:
1. Identify, measure and control risks that would have an adverse affect on retail rate
stability
2. Assign risk management responsibilities to appropriately qualified individuals and
committees
Risk Management Program Objectives:
l . Maintain a regularly updated inventory of Lodi's Bulk Power Procurement
Program risks
2. Establish risk metrics and reporting mechanisms that provide both quantitative
and qualitative assessments of potential impacts to rate stability
3. Adopt business practices that encourage development of appropriate levels of
operating reserve funds, contribute to retail rate stability and maintain appropriate
security for established funds
Risk Inventory:
Lodi Electric must inventory and address the following categories of risk as a component
of the monitoring and reporting under the risk management program:
• Price Risk
• Credit Risk
• Operational Risk
• Contingent Liabilities
Price Risk — Price risk is the risk that wholesale prices may increase relative to open
position needs and/or long term supply contracts may move "out of the money", or
become unprofitable or costly in comparison to prevailing price levels.
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Credit Risk — Credit risk is the risk associated with entering into any type of transaction
with another counterparty and is generally segmented into the following five categories:
1. Trading Counterparties and retail customers fail to pay for energy delivered
2. Trading counterparties and/or wholesale suppliers fail to deliver contracted for
energy
3. Trading counterparties fail to take delivery of energy sold to them, necessitating a
quick resale elsewhere, likely at a loss
4. Counterparties, may refuse to extend credit or charge a premium for credit risks
5, Counterparty transactions are too concentrated among a limited number of
suppliers
Operational Risk -- Operational risk consists of the potential to effectively plan, execute
or control business activities. Operational risk includes the potential for:
1. Inadequate organizational infrastructure, i.e., the lack of sufficient authority to
make and execute decisions, inadequate supervision, absence of internal checks
and balances, incomplete and untimely planning, incomplete and untimely
reporting, failure to separate incompatible functions, etc.
2. Absence, shortage or loss of key personnel
3. Lack or failure of facilities, equipment, systems and tools such as computers,
software, communications links and data services;
4. Inability to finance capital projects or meet financial obligations incurred in the
course of wholesale operations;
5. Exposure to litigation or sanctions as a result of violating laws and regulations,
not meeting contractual obligations, failure to address legal issues and/or receive
competent legal advice, not drafting contracts effectively, etc,
6. Errors or omissions in the conduct of business, including failure to execute
transactions, violations of guidelines and directives, etc.
Contingent Liabilities — contingent liabilities consist of liabilities that Lodi could incur in
the event of the failure of other parties to discharge their obligations. At present, these
consist of three principle eategories:
1. Guarantees and step up provisions in the enabling agreements for the Joint Powers
Agencies (JPAs) of which the city is a member
2. Project closure, decommissioning, environmental remediation and other
obligations which result from Lodi's own activities and from SPA projects and
activities;
3. Provisions for take or pay, termination payments and/or margin calls in the city's
long-term electric power supply agreements.
Prohibited and Authorized Transaction Types:
Prohibited Transaction Types
Speculative buying and selling of energy products is prohibited. Speculation is defined as
buying energy that is not needed for meeting forecasted load, selling energy that is not
owned and/or selling energy that is not surplus without simultaneously replacing that
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energy at a lower cost, In no event shall transactions be entered into to speculate on
market conditions.
Approved Transaction Types
1. Purchase energy to serve load above what is expected to be generated or
purchased from existing resources.
2. Sell existing capacity or energy that is expected to be in excess of Lodi's load
serving obligations
3. Purchase gas that is expected to be needed to fuel owned plants
4, Sell surplus gas if more economic energy is available for purchase
5. Execute financial transactions to fix the price of variable commodity purchases or
sales
6. Purchase simple call options to limit price exposure on short gas or electricity
positions
7. Sell simple call options or tolling agreements on capacity that is expected to be in
excess of Lodi's load serving obligations
8. Purchase emissions allowances deemed necessary for efficient operations of
owned generating facilities
9. Purchase or sell firm transmission rights to manage congestion price risk
10. A purchase/sale of energy at the California Oregon Border and a sale/purchase of
energy at NPI 5 to take advantage of Lodi's transmission capacity
11. A purchase of natural gas and a sale of energy to take advantage of excess gas
fired peaking capacity
12. A sale of natural gas and a purchase of electricity to take advantage of market
heat rates below NCPA gas fired generation.
Transactions that are not included in the Approved Transactions Type list are prohibited,
-unless explicitly approved by the City Council.
Energy Risk Management Roles, Responsibilities and Organization:
City Council
The City Council is responsible for making high-level, broad policy and strategy
statements as contained in the Energy Risk Management Policy document. The City
Council adopts the Energy Risk Management Policies as developed and recommended by
the Risk Oversight Committee and delegates the City Manager to execute it. The City
Council will review the Energy Risk Management Policy every year. Additionally, the
City Council shall receive reports quarterly from the City Manager regarding risk
management activities, These reports will be provided to the Council within six weeks
after the end of each calendar quarter.
City Manager
The City Manager has overall responsibility for executing and ensuring compliance with
policy adopted by the City Council. The City Manager reports quarterly to the City
Council regarding energy risk management activities.
Risk Oversight Committee (ROC)
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The ROC shall include as voting members, the City Manager, Assistant City Manager,
City Attorney and the Electric Utility Director; or in the case of their absence, their
designees. The City Manager shall appoint the chair of the ROC. Additional non-voting
members may be invited to participate on the ROC based on supporting expertise
required by the ROC.
The ROC shall meet not less than once per month, or as otherwise called to order by the
City Manager or City Council. The ROC shall keep minutes of all meetings and business
transacted and shall appoint one of its members to perform this task. A quorum for the
ROC to do business shall consist of all members or their designees. The ROC shall
request attendance at its meetings by, and/or reports from, other persons as appropriate.
The City Manager shall make regular reports to the City Council regarding business
transacted by the ROC at such intervals and/or upon such occasions as the Council shall
direct,
The ROC shall have the responsibility for ensuring that business is conducted in
accordance with the Energy Risk Management Policies (ERMP). The ROC shall from
time to time, adopt and bring current risk management business practices, defining in
detail the internal controls, strategies and processes for managing risks associated with
the adoption of those business practices. The ROC shall recommend to the City Council
the categories of transactions permitted and set risk limits for those transactions. The
ROC, with the approval of the City Manager, shall confirm the assigrunent of authority to
execute wholesale trading transactions, and administer retail accounts, supply contracts,
capital projects and JPA relationships.
Electric Department
The Electric Department shall participate on the ROC through the Electric Utility
Director, The Electric Utility Director shall provide load forecast information and
coordinate the receipt and dissemination of relevant market and transactional information
undertaken on Lodi's behalf through NCPA.
Finance Department
The Finance Department shall participate on the ROC through the Assistant City
Manager and provide accounting and cash flow information to the ROC.
Legal Department
The Legal Department shall participate on the ROC through the City Attorney and
provide legal advice and representation and ensure that business is carried out in
compliance with all applicable laws, regulations and executive court orders,
Reporting
Quarterly reports shall be provided to the City Council, which provide detail on the
City's forward purchases, market exposure, credit exposure, transaction compliance and
other relevant data.
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Quarterly Reports shall include:
• Load and Resource balances as forecast and adopted in the current operating years
budget
• Load and Resource balances as adjusted due to operating conditions or purchases
occurring during the quarter
An assessment of market exposure
• An assessinent of the quarterly change in power supply cost from budget
9 Credit Exposure by counterparty
• A summary of any purchases made during the quarter
• An assessment of any counterparty credit problems
Transaction Limits and Controls
For transactions executed on behalf of Lodi through NCPA, trade authorization levels,
counterparty credit limits and minimum counterparty rating criteria shall be as described
in NCPA's "Trade and Risk Management 1999 Interim Policies, Processes and
Procedures (RMPP)", which are rade a part of this document, and attached hereto.
Material changes to NCPA 's RMPP shall be reported to the City Council as part of the
quarterly repotting under Lodi's Energy Risk Management Policy.
For transactions executed on behalf of Lodi through NCPA, the City Manager and the
Electric Utility Director shall have the authority to direct NCPA to enter into purchase
agreements under authority granted by the City Council, by Resolution. The Resolution
shall specify the limits of the authority delegated, including the maximum dollar amount
of the authority and the duration of the contracts and/or transactions that may be executed
under the delegation of authority.
Because NCPA cannot enter into agreements on behalf of pooling members for longer
than one year, power supply contracts that have terms longer than one year, or that begin
delivery more than one year into the future must be executed directly by Lodi,
For transactions executed directly by Lodi, the City Manager and the Electric Utility
Director shall have the authority to enter into purchase agreements under authority
granted by the City Council, by Resolution.
The Resolution shall specify the limits of the authority delegated, including the maximum
dollar amount of the authority and the duration of the contracts and/or transactions that
may be executed under the delegation of authority.
Any resolution delegating authority to the city manager to contract for electricity shall
specify generally at least the following terms and conditions and the description of
energy and energy services to be procured, including, but not limited to, on -peak and off-
peak energy and ancillary services; term, specifying a not -to -exceed period of time;
period of delivery denoted in years or months; and point of delivery on the locus on the
interstate transmission system on which the delivery is made.
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Any delegation of authority to contract for gas shall specify generally at least the
following terms and conditions; quantity and the description of gas services to be
procured, including but not limited to scheduled gas and gas transportation services,
specifying a not -to exceed period of time; period of delivery denoted in years or months
or years and months; and point of delivery of the locus on the interstate transmission
system at which the transfer of title is made.
For contracts executed directly by the City, the City shall use standardized form contracts
for the procurement of gas and electricity, as practicable, including, but not limited to
form contracts created and copyrighted by the Edison Electric Institute, the Western
States Power Pool, and the North .American Energy Standards Board. Unless waived by
resolution of the City Council, a counterparty shall obtain and maintain during the term
of the contract, the minimum credit rating established as of the date of award of the
contract of not less than a BBB- credit rating established by Standard and Poor's and a
Baa3 credit rating established by Moody's Investors Services.
All procurement of gas and electricity by contract shall conform to the requirements of
the Energy Risk Management Policies,
Compliance
Compliance exceptions are actions, which violate the authority limits, requirements or
directives set forth in the Energy Risk Management Policy. All exceptions shall be
reported immediately to the City Manager and quarterly to the City Council in the
quarterly exception report.
Willful violations of the Energy Risk Management Policy will be subject to review and
may be cause for discipline or disniissal.
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