Exhibit BML-I STUDIES, DOCUMENTS AND ANALYSES REQUIRED PURSUANT TO THE TERMS OF THE SETTLEMENT DOCKET NO. U-23356 During the course of this proceeding, the Staff determined that, in furtherance of the Company’s obligation to provide reliable service at the lowest reasonable cost, the Company must undertake certain analyses and increase the information it retains relating to the purchase of off-system energy. More specifically, the Company has agreed to make certain analyses and to provide the results of them to the Staff. Set forth below is a brief description of each of these analyses. A. Risk Management Plan The Company agrees to adhere to the terms of the Risk Management Plan attached hereto. This Plan will assist the System in ensuring that it has sufficient resources to provide reliable service at the lowest reasonable cost. The Company commits to providing the Staff periodic reports, as described more fully below, in an effort to keep the Staff informed of reliability and planning issues. B. Documentation of Off-System Purchases During its investigation in this proceeding, the Staff determined that the Company did not retain for more than 90 days documentation of offers to sell off-system energy to the System that were rejected. At the request of the Staff, the Company prepared a detailed document retention plan that memorializes the facts and circumstances surrounding energy purchases that were made as well as those that were rejected. This 1 Exhibit BML-I will aid the LPSC in determining whether ESI properly uses the off-system market to achieve reliable service at the least reasonable cost. C. Margin Analysis In deciding whether to purchase fixed price off-system economy energy, the Company requires that the price be lower than its estimated avoided cost. This differential, or “margin” varies depending on how far in advance the purchase is being made. The Staff questioned the size of the margin, and the Company agreed to prepare an analysis supporting what it believes the size of the margin should be (for different time periods) and provide that analysis to the Staff. D. Transmission Constraints The ability of the System to purchase economy energy from outside the System is affected by operating conditions and constraints on the transmission system. Constraints might also affect the ability of the System at times to economically dispatch its generating units. At the request of the Staff, the Company will conduct a comprehensive prospective cost/benefit analysis of relieving constraints on the transmission system. A more detailed description of each of these commitments follows. This is a summary of related Findings of Fact. To the extent that this summary deviates at all from the Findings, it is the Findings that control and bind the Company. Risk Management Plan During the course of this proceeding the Staff requested that the System prepare a documented description of how it will plan for the future resource needs of its customers. Appendix 1 to this Exhibit contains the System’s Risk Management Plan and a description of how that plan was utilized to determine what resources were needed to 2 Exhibit BML-I meet the expected energy needs of its customers during the summer peak period of 2000. The goal of the plan is to ensure reliable service and to mitigate the adverse impacts of market price spikes, by (a) forecasting the peak load and analyzing the System’s resources available to meet this peak, and (b) establishing procedures for meeting any shortfalls. The plan, in part, addresses how the Entergy System will access the offsystem power market to achieve its obligation of providing reliable service at the lowest reasonable cost. The Risk Management Plan utilizes a stochastic simulation model that considers a wide range of possible scenarios regarding both the System’s peak loads and available supply resources in order to determine the resources necessary (a) to meet the planning objective on an expected basis of an interruption of firm load no more than one day in ten years, consistent with the directives of the Southwest Power Pool (“SPP”), and (b) to meet the System’s planning objective concerning the number of interruptions imposed each year on interruptible/curtailable customers. In determining the expected needs of customers, the Risk Management Plan relies on an average of the results of three alternative methodologies to forecast peak load (sometimes referred to as a “consensus forecast”). Each of these three methodologies employs a significantly different approach for forecasting System load. In determining the estimated capability ratings of the System’s generating fleet, the Risk Management Plan relies on actual operating experience of these generators under summer peak operating conditions. This will ensure that such capabilities are realistic and reflect summer peak load conditions. 3 Exhibit BML-I Any deficiency in System resources to meet the projected summer peak loads is estimated in the Risk Management Plan. Once the size of any deficiency in available resources is determined, subject to the SPP and System planning criteria (one day in ten years loss of load for firm customers and a certain number of interruptions imposed each year on interruptible/curtailable customers), the Risk Management Plan screens alternative means of meeting any deficiency in resources through the use of a structured technique for ranking alternatives known as “qualitative decision analysis”. This “qualitative decision analysis” considers each option in terms of applicable factors such as cost, environmental impact, feasibility, and other factors. The plan then selects the most cost-effective means to meet the forecasted deficiency from the feasible alternatives. The goal of the Risk Management Plan is to serve all customer classes with adequate levels of reliability at the lowest reasonable cost, taking into account System constraints, market risks, and the Company’s service obligations to all of its customers. Depending on the circumstances, the System may or may not continue to rely on the Request For Proposal (“RFP”) process to solicit bids for resources. However, if the Entergy System continues to use the RFP process to solicit resources to meet its summer requirements, the Entergy System will prepare contemporaneous documentation of the results of the solicitation, including its analysis and evaluation of the bids received. This will include reasons for rejecting or accepting bids. Alternatively, if the Entergy System chooses to rely instead on bilateral negotiations to acquire the needed resources, ELI will provide its analyses of purchase power offers, its market survey and other pertinent information relating to its purchase power procurement. (This would include information 4 Exhibit BML-I on rejected offers.) Such information on the RFP process and/or the bilateral contracting for purchased power will be provided to Staff subject, if necessary, to an appropriate confidentiality agreement. In connection with its planning process for meeting projected summer peak demands, the Entergy System will evaluate all relevant “self supply” (owned or leased) resource options, including unit up-rates, and new unit (or repowering) self-build options. These analyses will be documented and provided to Staff. The Entergy System will pursue cost-effective options regarding owned generation with the objective of providing reliable service at reasonable cost, subject to its operating and other constraints. The Company will provide the Staff a detailed description of the application of the Risk Management Plan no later than January 15 of each year. In this connection, the Company will provide the Staff studies of estimated needs for resources to meets its reliability objectives, as well as studies of the resources the System has to meet those needs and the analysis of the alternatives available to meet any deficiency. ELI agrees to provide this information on a timely basis, and to receive comments and recommendations from Staff regarding its planning and resource procurement practices. ELI agrees to hold a technical conference with Staff to discuss this information and answer questions. After the conclusion of each summer season, the Entergy System will perform an after-the-fact evaluation of: (a) the accuracy of its previous year load forecast, (b) the dependable capacity ratings of units to determine what changes, if any, are needed for the next planning cycle, and (c) the effectiveness of alternatives used to meet the deficiency 5 Exhibit BML-I at the least reasonable cost, and will provide this evaluation to the Staff by November 30 each year for the summer season just ended. Documentation Plan The Company believes that the records that ESI has maintained to document its purchased power practices are adequate to demonstrate the reasonableness and necessity of the purchased power costs that ELI’s customers have incurred. Further, it is ELI’s position that these records also are adequate to comply with the provisions of the Commission’s November 1997 General Order regarding fuel adjustment charges. ELI does not believe that additional documentation is required either by the Commission’s General Order, or for any legitimate or prudent business practice. However, as a result of discussions with the Staff, ESI has implemented a set of processes, which were put into effect in June 2000, that will contemporaneously capture additional information about the wholesale power purchases that the System makes and the offers for wholesale power that the System declines. To do this, ESI has modified its TRADES system, which is the ESI-developed computer-based system that the System’s wholesale power buyers use to record wholesale power transactions. The modified TRADES system now requires System power purchasers to include additional information documenting the reasons particular purchases are made, such as whether the purchase was made to ensure the reliability of the System or was an economy purchase. ESI has further required its power purchasers to enter into TRADES all offers of power that specify price, quantity and duration but that are not accepted, and the reason that the offer was declined, such as, for example, 6 Exhibit BML-I that the price was not economical or that the purchase was not made because of operating constraints (including minimum load issues or transmission constraints). The EMO is a department of Entergy Services, Inc. that, among other responsibilities, buys and sells electricity in the wholesale market on behalf of the Entergy Operating Companies. The System buys and sells substantial amounts of energy in the next-day and current day markets.1 These transactions are bilateral transactions between the System and others, and, consistent with industry practice, are made over the telephone without any documents changing hands. Parties call the EMO offering energy for sale, or the EMO calls potential vendors to solicit an offer. Typically, offers must be accepted or rejected within a very short time, often during the phone conversation. In the past, the EMO has retained a substantial amount of information regarding the planning processes that led to those purchases or sales, including copies of the Seasonal Energy Plans, Monthly Energy Plans, and Next-Day Energy Plans. The EMO has also retained the databases that were used to generate the short-term production costing forecasts, and thus the avoided cost forecasts, that are prepared on a daily basis using the Scheduler model. Not all of the Scheduler databases are routinely retained, as numerous Scheduler model runs are performed on any given day, but the final Scheduler run of the day has been stored for the past several years. The EMO also retains the System Lambda from its Energy Management System (“EMS”) from the beginning of each hour. The EMO also retains information regarding system operations that is useful when evaluating purchase decisions. This information includes the Generation 1 The next-day market involves purchases made, usually by 10:00 a.m., for delivery the following day; the current-day market involves purchases made for delivery within the next several hours. 7 Exhibit BML-I Availability Data Base (“GADS”), which records information about generating unit performance, the OMENS database, which records the contemporaneous notes of the System dispatchers, and the contemporaneous notices that are issued internally during times of duress. The EMO also has retained a substantial amount of information regarding each wholesale transaction that the System consummated. The EMO has developed the TRADES system, which is an electronic database with a graphical user interface (“GUI”). The TRADES system has been used by the EMO’s wholesale energy traders to record information in real time on the purchases or sales that they have made. The information that was historically recorded in TRADES includes the name of the buyer or seller, the price and quantity of the transaction, the transmission path over which the energy will be delivered and the point of delivery, the times at which the energy will be delivered, the names of the traders on both ends of the transaction, and other information, such as whether the energy is dispatchable, that needed to be retained for operational reasons. A snapshot of the screen that the traders use to enter information about their transactions is included as Appendix 2 to this Exhibit. However, during the course of this proceeding, the Staff indicated that additional information regarding the transactions which were accepted would be useful to evaluate the reasonableness of the System’s purchases. This information includes the reason why the purchase was made (e.g., whether the purchase was made for economics or reliability). Further, if a purchase was made for economics, it would be useful to know the avoided cost (for the appropriate time horizon) that was used to determine that the purchase was economic, and if a purchase was made for reliability reasons, the 8 Exhibit BML-I circumstance that lead to the need (e.g., the unexpected loss or derating of a generating unit or of a prescheduled purchase, a transmission constraint, or an unanticipated increase in the load that must be served). The Staff also requested that the EMO retain the information regarding offers that the EMO received that were not accepted. Basically, the Staff primarily sought information, which had not previously been retained, on the price and quantity of offers to sell energy that were declined and the reason that those purchases were not made. Those reasons could include price or operational constraints, such as minimum loading issues or the unavailability of transmission. Following discussions with the Staff, the Company agreed to develop and implement a system to collect additional information regarding wholesale power transactions that were accepted, and to collect and retain information regarding offers that were not accepted. In order to collect additional information on wholesale power transactions, the EMO has modified the TRADES database to require that the traders identify the reason for the purchase (e.g., either economy or reliability) at the time that the purchase was made. If the purchase is made for economic reasons, the Contemporaneous Documentation System is designed to identify the appropriate avoided cost that was used to determine that the purchase was economic, and associate that avoided cost with the purchase. If a purchase was made for reliability reasons, the traders can indicate whether the purchase is a non-standard purchase,2 a peaking purchase,3 or a post market 2 A non-standard purchase is defined as a purchase of a 16 hour block that enables a cheaper average MW price than could be obtained for a peaking purchase. Pricing of the peaking hours will be at a higher cost than non-peaking hours. (i.e. Hrs 7-12 @ $40/MW, Hrs 13-20 @ $90/MW, Hrs 21-22 @ $40/MW ? Average price = $65/MW) 9 Exhibit BML-I purchase.4 Additional information about why there was a need for a reliability purchase is also collected. The reasons that may be selected are plant trip/failure/derate, an unexpected increase in the load forecast, a transmission constraint, or some other reason. The Contemporaneous Documentation System also requires the traders to record information on the valid offers that are received, but that are not accepted. An offer is defined as valid only if it is received from an Entergy-approved counter-party5 and includes the following information: price ($/MWh), quantity (MWh), start time, and duration (day or hours). Offers may be rejected because they are not economically attractive (i.e., the price is greater than the avoided cost for the relevant time period), or because of operational reasons. If an offer is rejected because of economics, the information that is collected includes the name of the vendor, the amount and price of the power, the schedule proposed for sale, and the relevant avoided cost estimate that led to the rejection. If an offer is rejected because of operational constraints, information on the avoided cost is not retained, but the reason for the rejection is. The trader must choose one of the following reasons for rejecting an offer for any reason other than price: 1. Transmission constraint – no available transfer capability; 2. Transmission constraint – transmission loading relief; 3. Inappropriate type of product (e.g., an offer for around the clock energy when the System needs peaking power); 3 A peaking purchase is defined as a purchase to cover the peak hours (typically hrs. 13-20, but may vary slightly). 4 A post market purchase is defined as a purchase outside the “normal” power purchase hours of 7am – 12pm (i.e., purchase of power at 3pm because of unit trip). 5 A vendor can become an approved counter-party by meeting certain credit standards and the execution of a standard contract. 10 Exhibit BML-I 4. Time constraint (e.g., an offer is received without sufficient time to arrange for transmission service); 5. The System’s generating units are at their minimum loads and cannot be shut down to allow additional purchases; 6. The System’s generating units cannot be turned down because of fuel contract constraints; 7. The offer was withdrawn by the vendor; 8. The offer was unit-contingent on a unit that the System did not consider reliable; 9. Some other reason. These explanations will be captured and stored in the TRADES database. To the extent that the purchaser is informed of the specific transmission constraint, i.e., what interface is constrained, that information will be retained. It is not expected that the “other” category will be used very often. However, this is a work in progress and experience may suggest changes to the options in order to minimize the use of “other.” The information collected in the Contemporaneous Documentation Process will be retained in an electronic database. A wide variety of reports can be generated from the database. Reports detailing each accepted or rejected transaction are available, as are reports summarizing and analyzing the transactions. Samples of the kinds of reports that can be generated are included as Appendix 3 to this Exhibit. Margin Analysis In making the decision whether to purchase energy off-system, the System requires that the price of such a purchase be lower than the estimated avoided cost. This 11 Exhibit BML-I differential or “margin” (the size of which depends on the time horizon for the purchase) is necessary to ensure that the purchase produces a benefit to the System and its customers. Conceptually, the System’s approach of requiring a margin for purposes of determining whether it will purchase off-system supplies is prudent. The use of a margin for purchased power is supported by the following: a) it protects against making a purchase commitment too early in the process and thereby missing the opportunity for subsequent lower-cost offers, b) it encourages the System’s traders to negotiate better deals, c) the Monte Carlo simulation study submitted by ELI demonstrates that, so long as there are multiple offers, not all of which are taken, the appropriate margin is a positive number, and d) the margin should be larger as the period between the time of the estimate and time for delivery of the energy grows longer. Just as the cost of an option for one year is greater than the cost of an option for month or a week, so should the margin be larger for the longer purchase horizons. The System’s margins reflect that structure. However, the record does not demonstrate that the specific numerical values of the margins used by the Entergy System for making purchase power decisions are the most appropriate margins for that purpose. It may be appropriate to adjust those margins as market conditions change. Consequently, the Staff does not opine as to the specific quantification of the margins that should be used for making future hourly, daily, weekly, monthly, or annual off-system purchase decisions, and recommends that the Entergy System reevaluate those margins to determine whether they should be adjusted in order to more appropriately access the off-system economy energy market in order to achieve reliable service at the lowest reasonable cost for the System. ELI agrees to provide such 12 Exhibit BML-I an analysis to the Staff within nine months of the acceptance of the Settlement by the Commission. The Company also commits to providing the Staff an outline of how the study will be conducted within four months of the acceptance of the Settlement. Transmission Constraints The Entergy System, like every other transmission-owning utility, faces transmission import limits and constraints within its control area. The Staff did not perform an engineering analysis of these limitations. These limits and constraints, including Amite-South, can affect the Entergy System’s use of the off-system economy energy market, System dispatch, and fuel costs. Therefore, Staff has concluded that the Entergy System should conduct a prospective study to determine what transmission constraints exist, the feasibility of options to mitigate such transmission constraints, including analysis of the costs and potential net benefits for ELI’s customers of each reasonable alternative for improving the transmission transfer capability of the transmission system of the Entergy Operating Companies. ELI and Entergy have agreed to prepare and submit such a study to the Commission within six (6) months of the Commission’s Order approving the settlement. ELI shall consult with Staff on the scope and methodology of the study prior to commencement. At a minimum, the transmission study shall include analyses of the extent to which Entergy transmission system limitations adversely affect Entergy’s ability to fully and optimally dispatch its generating units, including the need to dispatch units out of merit order and any resulting need to acquire more off-system purchased power for the period under study, if any, and if so, how much additional purchased power is needed. Also, the analysis in the study shall evaluate how the transmission constraints limit the System’s ability to make use of 13 Exhibit BML-I off-system economy energy to cost-effectively displace Entergy’s internal generation and what can be done to minimize that limitation. The study shall identify each transmission line that experienced line loadings during contingencies at the time of annual peak which meet or exceed 100% of the normal line rating including the percent amount in excess of 100% and shall describe the contingencies which cause the exceedence of 100%. Detailed data inputs, analytic assumptions and results shall be included as part of the study or available to Staff as supporting workpapers, as appropriate. Entergy may request that data which it deems confidential be provided to Staff subject to a Confidentiality Agreement. 14