ENTSOG First Report on Implementation Monitoring and Baseline for Effect Monitoring of the Tariff Network Code

‘Early Compliance’ – Publishing Article 30(1)(b) Information on the TSOs Website As per ‘early compliance’ publication requirements, TSOs from group B must publish the revenue information for the current tariff period on the TSOs website. The information to be published only covers the applicable revenue information according to Article 30(1)(b).

Responses

Group B (19 TSOs) Has the TSO published the information in Art. 30(1)(b) required to be published for the current tariff period?

2

6

11

Yes, 11 (from 9 MSs) NRA responsibility, 6 (from 4 MSs) No, 2 (from 2 MSs)

Figure 4: ‘Early compliance’ publication of Article 30(1)(b) information, for the current tariff period

Æ 11 TSOs have published Article 30(1)(b) revenue information as per ‘early compliance’. However, for a number of these TSOs some items from this sub-Article were not published, for example, the capacity-commodity split, intra-system/cross-system split, inflation indices, incentive mechanisms and efficiency targets. The reasons provide by the TSOs for some of these items not being published was due to them being non-applicable to that particular TSO, some items not being available until the new tariff period or regulatory period, or not currently used for their tariff methodology. Æ For six TSOs it is the NRA who is responsible for publishing Article 30 information. Æ One TSO has not published the Article 30(1)(b) information as they have applied for a derogation, the derogation decision will determine the scope of what is applicable for publication. For the second TSO who have not published the Article 30(1)(b) information, their derogation expired in 2017 and the publication of this information is still a work in progress.

TAR NC Implementation and Effect Monitoring Report 2017 | 17

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