Having read the Hogan paper, I think that the "academic" community is 
somewhat divided on this issue.  If we want to move forward on the issues 
Joskow addresses, I would recommend that EPSA be the vehicle.  The entire 
marketer / generator community needs to counter.

What do people think about seeking activity through EPSA, WPTF, and/or IEP of 
CA  to push back on the studies and analysis especially after the Dec 13 
Order?  I don't think that the discussions will be ending very soon.

Jim





	Alan Comnes@ECT
	12/07/2000 03:07 AM
		
		 To: James D Steffes/NA/Enron@ENRON
		 cc: Jeff Dasovich/NA/Enron@Enron, Susan J Mara/NA/Enron@ENRON, Mary 
Hain/HOU/ECT
		 Subject: Re: Analysis of Joskow / Hogan Papers

The Joskow/Kahn paper raises two issues:  price above cost  and witholding.  

Enron obviously has concerns with the "price above cost" analysis.  I drafted 
some specific concerns and put them into a draft to Enron's reponse to Hoeker 
Question 1.  Although the detail was dropped in the final draft, the basic 
technical concerns were laid out there. To really rebut Joskow/Kahn would 
take considerable work.  Jeff D's idea was to write a paper that raised 
issues and indicated how complicated a "correct" response would  be.

The Joskow/Kahn withholding section has recieved criticism from the ISO so I 
am not sure Enron needs to respond to that.

I think my bottom line now is that the debate at FERC will soon be over or 
enter a new stage on the 13th.  As far as how a response would help us in 
California, I think requires a discussion with Jeff.

Alan




From: James D Steffes@ENRON on 12/05/2000 07:22 PM CST
To: Alan Comnes/PDX/ECT@ECT, Jeff Dasovich/NA/Enron@Enron, Susan J 
Mara/NA/Enron@ENRON, Mary Hain/HOU/ECT@ECT
cc:  

Subject: Analysis of Joskow / Hogan Papers

Alan --

Before we bring in Seabron Adamson to do some analysis, I'd like your read of 
the Joskow and Hogan papers.   When we have our understanding straight, let's 
talk.

Jim




----- Forwarded by James D Steffes/NA/Enron on 12/05/2000 07:20 PM -----

	Jeff Dasovich
	Sent by: Jeff Dasovich
	11/30/2000 11:49 AM
		 
		 To: skean@enron.com, Richard Shapiro/NA/Enron@Enron, James D 
Steffes/NA/Enron@Enron, Sandra McCubbin/NA/Enron@Enron, Paul 
Kaufman/PDX/ECT@ECT, Joe Hartsoe/Corp/Enron@ENRON, Sarah 
Novosel/Corp/Enron@ENRON, Mary Hain/HOU/ECT@ECT, Karen 
Denne/Corp/Enron@ENRON, mpalmer@enron.com, Susan J Mara/NA/Enron@ENRON, Alan 
Comnes/PDX/ECT@ECT
		 cc: 
		 Subject: From Today's Electricity Daily

FYI. In bizarre times, help can sometimes come from bizarre places.  Granted, 
we're likely to disagree strongly with Hogan's continued obsession with 
Poolco, but the discussion in his paper regarding market power may be 
helpful---I've read the Joskow paper, but haven't yet had a chance to review 
the Hogan piece.  

Steve and I discussed the need to do a focused assessment of the Joskow/Kahn 
"analysis"  (remember it's Ed Kahn, not Alfred Kahn).  Seems that it would be 
very useful to fold into that analysis any useful stuff on market power 
included in the paper done by Hogan & Co.  If, in the end, there ain't 
nothing useful, so be it.  But seems like there's little downside to 
exploring it.

Jim, my understanding is that Alan is already working with the fundamentals 
folks on the Portland desk to deconstruct the Joskow paper.  Might want to 
include the Hogan paper in those discussions and might also be useful to pull 
Seabron Adamson into the thinking, too.  Ultimately, may be preferable to 
have any assessment of Joskow and/or Hogan to come from economists, rather 
than directly from us. 

Best,
Jeff
----- Forwarded by Jeff Dasovich/NA/Enron on 11/30/2000 11:38 AM -----

	"Daniel Douglass" <Douglass@ArterHadden.com>
	11/30/2000 11:29 AM
		 
		 To: <Barbara_Klemstine@apsc.com>, <dcazalet@apx.com>, <BillR@calpine.com>, 
<jackp@calpine.com>, <glwaas@calpx.com>, <Ken_Czarnecki@calpx.com>, 
<cabaker@duke-energy.com>, <gavaughn@duke-energy.com>, 
<rjhickok@duke-energy.com>, <gtbl@dynegy.com>, <KEWH@dynegy.com>, 
<jdasovic@enron.com>, <susan_j_mara@enron.com>, <curt.Hatton@gen.pge.com>, 
<foothill@lmi.net>, <camiessn@newwestenergy.com>, 
<jcgardin@newwestenergy.com>, <rsnichol@newwestenergy.com>, 
<Nam.Nguyen@powersrc.com>, <rllamkin@seiworldwide.com>, 
<Roger.Pelote@Williams.com>
		 cc: 
		 Subject: From Today's Electricity Daily

Has FERC Gone Far Enough in California?
The Federal Energy Regulatory Commission isn't going far enough in its 
attempt to reform the California wholesale electric market, according to a 
paper by three prominent economists done for San Diego Gas and Electric. The 
paper by John D. Chandley, Scott M. Harvey, and William W. Hogan argues that 
FERC should first end the artificial separation that divides the California 
Power Exchange and the California Independent System Operator, rather than 
worrying about the governance of the two institutions.
"The change in governance may help," says the paper - "Electricity Market 
Reform in California" - "but it is not likely to be decisive in the near 
term. Explicit guidance from the commission regarding the nature and 
trajectory of reforms will be essential if market reform is to be 
accomplished within an acceptable time frame." Hogan, of the Kennedy School 
of Government, has been writing since 1995 in opposition to California's 
market separation.
Also, argues the paper, freeing the California utilities to engage in forward 
contracting is no panacea. "The expectation that merely allowing utilities to 
participate in forward contracting necessarily would be the solution to high 
prices is problematic and not supported by the commission's staff report," 
says the analysis, adding that "putting pressure on buyers to sign contracts 
in the present environment may make things worse." If the underlying problem 
in California is high cost and low capacity, requiring forward contracting 
could harm not only California but also the entire Western U.S. electric 
system.
FERC's $150 so-called "soft cap" is a wild card that has the three economists 
scratching their heads. "It does not appear in the staff report and there is 
little critical analysis of their implications, other than the discussion of 
Commissioner [Curt] Hebert." If the intent of the soft cap is to move toward 
cost justification for bids above $150/MWh, then FERC is headed into an 
administrative morass "that would rival those under wellhead price controls 
in the natural gas industry."
If, on the other hand, the soft cap is "truly soft" and would only require 
some paper work at FERC and the possibility of a refund if the price is 
eventually deemed not just and reasonable, "there might be little impact on 
consumer prices (particularly if the principal sources of those high prices 
are high costs and regional capacity shortages rather than the exercise of 
market power). Even so, the proposal might serve to deter entry and new 
investments, thus combining the worst of both worlds, high consumer prices 
and little or no new investment."
FERC's proposed order in California also demonstrates confusion about just 
what constitutes market power. The paper cites the proposed order's lawyerly, 
obfuscatory conclusion that "while this record does not support findings of 
specific exercises of market power, and while we are not able to reach 
definite conclusions about the actions of individual sellers, there is clear 
evidence that in California market structure and rules provide the 
opportunity for sellers to exercise market power when supply is tight and can 
result in unjust and unreasonable rates under the [Federal Power Act]." The 
economists note, "In this regard, the debate is confused because we are 
dancing around the words where the truth may be hard to face."
In the case of California, say the economists, there is no evidence of market 
power. Even the practice of generators avoiding the day-ahead market in favor 
of the real-time market "is a response to bad market design and pricing 
incentives (including price caps), but does not demonstrate the exercise of 
market power." Nor is bidding above marginal cost necessarily an exercise of 
market power, they add. "The distinction between direct marginal cost and 
opportunity cost is sometimes lost in the discussion. Hence, a competitive 
bidder whose direct cost of generation is $40 but who could sell the same 
energy outside California for $100 should bid no less than $100. This would 
not be an exercise of market power."