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Changes to the Energy Company Obligation
A Suppliers view of the implications
Justine Biggs – Business Development Manager
Contents
1. Why?
2. Timeline
3. Proposed CSCO changes and impact
4. Proposed CSCO Rural changes and impact
5. Proposed CERO Changes and impacts
7. Summary
8. Contacts
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Why?
 To meet the Governments political need to reduce UK householders energy
bills by an average of £50 per household.
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DECC Timetable
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Autumn Statement Announcement 2nd December 2013
Public Consultation release
Mid Feb 2014
Public Consultation Closes
Mid April 2014
Drafting of new SI
April-June 2014
New SI before House
June/July 2014
Legislation debate and outcome October 2014
 BUT some changes will be back dated to 1st April 2014
 How do we deliver in April measures that are not actually legal until
October?
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Proposed CSCO Changes
 Minimal (or is it)?
 As its for vulnerable customers
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1)
2)
3)
4)
No change to volume of CSCO
No change to “hard” target at March 2015
Extended at same levels until March 2017
Increase geographical target areas to 25% of lowest deprived areas
(and don’t forget 20% can come from the adjacent areas to these)
 Potential Impact
With a 66% increase in the target areas permitted and no growth in current or
foreseeable target again Supply is likely to outstrip demand causing reduction
in rates and unmet supply
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Proposed CSCO Rural Changes
 Minimal (or is it)?
 As its for vulnerable customers


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
1)
No change to volume of CSCO Rural
2)
No change to “hard” target at March 2015
3)
Extended at same levels until March 2017
4)
New Criteria will include anyone in the lowest 25% LSOAs in rural
settlements of under 10,000 population.
 Potential Impact
With an increase in the target areas permitted and no growth in current or
foreseeable target again Supply is likely to outstrip demand causing reduction
in rates and unmet supply
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Proposed CERO Changes (1)
 Previously most expensive and hence broadest changes
 Many changes all aimed at cost reduction in scope, volume, administration.
 Key Changes
 1)
33% reduction in 2013-2015 volume, with “soft” 2015 target,
extended to March 2017
 2)
New “gateway” measures
 3)
SWI minima introduced
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Proposed CERO Changes (2)
33% reduction in 2013-2015 volume, with “soft” 2015 target, extended until
March 2017
 Clearly a straight forward reduction in volume need
 Coming half way through, anyone “on target” will be impacted by more that
33% in 2014
 Soft 2015 target means no real need to drive to achieve
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Proposed CERO Changes (3)
New “gateway” measures
Cavities will no longer be defined as ETT or HTT
All cavities, Loft Insulation and District Heating will be stand alone gateway
measures and not need SWI or HTTCWI associated
Likely to lead to a focus on lower cost cavity measures as way to deliver with
little funding availability for higher cost or longer term measures
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Proposed CERO Changes (4)
SWI minima introduced
Industry minima delivery proposed of 100,000 households (or carbon equal)
between Jan 2013 and Mar 2017.
Needed as cost of SWI will be approx 3 to 4 times that of cavity wall
However in 2012 the industry installed twice as much as this through CESP.
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E.on’s approach
We have to substantially reduce ECO cost in line with Government
requirements however our approach will be
1) To fully complete all obligations and sub obligations on time
2) To deliver at as low a cost as is practical and pass this back to E.on supply
customers
3) To renegotiate all existing contracts timeframe, volume and/or measure
type to fit into new world
4) To provide as much continuity and security to partners and installers as
possible
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Summary
The changes will inevitably have a major impact on the ECO market in that
they will
1) Reduce Obligated parties volume targets, less help for everyone inc the
vulnerable (cero does deliver vulnerable through social schemes)
2) Remove any option for growth in 2015 and hence benefit for early
overdelivery
3) Bring in new gateway measures to CERO
4) Reduce EWI installs across the period
5) Overall provide lower cost delivery of ECO
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Justine Biggs
07891 830253
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