Comments from We Energies

Comments from We Energies

<p>From: Kedrowski.Barbara [ Sent: Friday, May 20, 2005 7:13 AM To: Veronica Thomason Cc: Horn.Linda Subject: FW: Request for Comments on R04021 - Due May 25, 2005</p><p>Comments from We Energies: </p><p>1. In regard to all of the proposed standards, language needs to be added in regard to communications also coming from a contract holder for tolling agreements.</p><p>2. Specifically in regard to standard S3X, language should be added that a PPO or contract holder should not "routinely" operate without an approved schedule. Occasionally, plants do operate without a nomination in place and simply absorb the associated penalties.</p><p>3. Specifically in regard to standard S16, the timing disconnect between the gas and the electric day could impact electric reliability. A standard addressing communications between RTO's, PPO's and TSP's is good, but doesn't go far enough. </p><p>Barb Kedrowski Project Manager Federal Regulatory & Policy We Energies 414-221-3572 </p>

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