1 model retail contract project: framework issues tony baldwin 27 august 2003

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1 MODEL RETAIL CONTRACT PROJECT: FRAMEWORK ISSUES Tony Baldwin 27 August 2003

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Page 1: 1 MODEL RETAIL CONTRACT PROJECT: FRAMEWORK ISSUES Tony Baldwin 27 August 2003

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MODEL RETAIL CONTRACT PROJECT:

FRAMEWORK ISSUES

Tony Baldwin

27 August 2003

Page 2: 1 MODEL RETAIL CONTRACT PROJECT: FRAMEWORK ISSUES Tony Baldwin 27 August 2003

2

Role of Retail Contract in Wider Economic Context

Page 3: 1 MODEL RETAIL CONTRACT PROJECT: FRAMEWORK ISSUES Tony Baldwin 27 August 2003

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ECONOMIC OBJECTIVES FOR INDUSTRY

• Strong downward pressure on costs

• Strong downward pressure on prices to reflect costs

• Strong pressures to innovate

Page 4: 1 MODEL RETAIL CONTRACT PROJECT: FRAMEWORK ISSUES Tony Baldwin 27 August 2003

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Real Electricity Prices for Consumers1990 - 2002

800

900

1000

1100

1200

1300

1400D

ec-

90

Dec-

91

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92

Dec-

93

Dec-

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Dec-

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Dec-

00

Dec-

01

Dec-

02

Ind

ex o

f P

rices

Farm Electricity Prices

Household Electricity Prices

Commercial Electricity Prices

Retail Reforms Announced

Wholesale Market Introduced

Page 5: 1 MODEL RETAIL CONTRACT PROJECT: FRAMEWORK ISSUES Tony Baldwin 27 August 2003

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Domestic Electricity Costs

Page 6: 1 MODEL RETAIL CONTRACT PROJECT: FRAMEWORK ISSUES Tony Baldwin 27 August 2003

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4.32

1.79

4.9

3.1 Retail

Lines

Trans

Gen

Costs for Consumers’ Electricity

Monopoly

Potentially Competitive

Potentially Competitive22%

35%

13%

30%

Page 7: 1 MODEL RETAIL CONTRACT PROJECT: FRAMEWORK ISSUES Tony Baldwin 27 August 2003

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4.32

1.79

4.9

3.1 Retail

Lines

Trans

Gen

Page 8: 1 MODEL RETAIL CONTRACT PROJECT: FRAMEWORK ISSUES Tony Baldwin 27 August 2003

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KEY MECHANISMS

Effective retail competition

If not, then regulation

Page 9: 1 MODEL RETAIL CONTRACT PROJECT: FRAMEWORK ISSUES Tony Baldwin 27 August 2003

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EFFECTIVE RETAIL COMPETITION

Two key components –

• Real threat of customer switching

• Real threat of new retail entry

Page 10: 1 MODEL RETAIL CONTRACT PROJECT: FRAMEWORK ISSUES Tony Baldwin 27 August 2003

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NEW RETAIL ENTRY

• Neutral access to lines

• Ability to hedge nodal pricing differentials

• Access to competitive wholesale supply contracts

• Certainty of regulatory environment

• Demand from customers for competitive retail services (particularly risk management on price and reliability)

In place:

Yes

No

No

No

Limited

Some key conditions -

Page 11: 1 MODEL RETAIL CONTRACT PROJECT: FRAMEWORK ISSUES Tony Baldwin 27 August 2003

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CONSUMERS SWITCHING

• Retailer alternatives

• Easy consumer data transfer between retailers

• No inefficient restraints on consumer terminating contract

• Clear and timely information disclosure by retailer to consumer (particularly on prices)

• Active performance comparisons by independent agents

• Demand from customers for competitive retail services (particularly risk management on price and reliability)

Some

?

?

Yes?

Some

Limited

In place:Some key conditions -

Page 12: 1 MODEL RETAIL CONTRACT PROJECT: FRAMEWORK ISSUES Tony Baldwin 27 August 2003

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OTHER RELEVANT FACTORS

• Culture of ‘consumer sovereignty’ is still relatively new and weak among retailers

• Consumers’ relatively weak contractual bargining

position (with occasional media exceptions), due to fragmentation, poor information and lack of expertise

• Inelasticity of consumer demand – gives rise to fears of exploitation

Page 13: 1 MODEL RETAIL CONTRACT PROJECT: FRAMEWORK ISSUES Tony Baldwin 27 August 2003

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OTHER RELEVANT FACTORS

• Low awareness among consumers of supply and pricing risks

• Strong assumption by consumers of public provision and therefore government management of risks

• Weak retail competition – due to lack of transmission hedging + portfolio balancing by ‘gen-tailers’ = de facto regional monopolies

• Poor prospects of future retail competition – causes wider than issues relating to retail contract

Page 14: 1 MODEL RETAIL CONTRACT PROJECT: FRAMEWORK ISSUES Tony Baldwin 27 August 2003

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VALUE OF MODEL RETAIL CONTRACT

However, a good retail contract could:

• Reduce some of the barriers to effective retail competition (promoting the economic efficiency objective)

• Create stronger incentives for costs and risks to be managed within the contract in an economically efficient manner (even in a framework of weak competition) (promoting the economic efficiency objective)

• Counter-balance concerns relating to consumers' weak bargining position (promoting the fairness objective)

Page 15: 1 MODEL RETAIL CONTRACT PROJECT: FRAMEWORK ISSUES Tony Baldwin 27 August 2003

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MRCPT AND ECC CODE PROCESSES

Page 16: 1 MODEL RETAIL CONTRACT PROJECT: FRAMEWORK ISSUES Tony Baldwin 27 August 2003

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HISTORY

• June 2000: Caygill Review notes problems in retailers’ consumer services (particularly on billing). Concerned about lack of confidence in credibility of competition as as an effective discipline on retailers

• August 2001: ECC scheme established

• February 2002: GPS calls for:

– an industry code of practice with standards for contracts, particularly on billing, disconnection and metering (paras 7, 29 + 30, GPS) (ECC responsible)

– a model domestic consumer contract covering charging, billing, dispute resolution, outage protection and retailer insolvency (para 30, GPS) (MGB responsible)

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HISTORY

• October 2002: Minister suggests ECC and MGB develop a joint working plan for model contract and code review processes

• October 2002: ECC starts code review process, governed by ECC constitution

• Nov 02 – Feb 03: Independent review of code

• April 03: ECC decides on proposed code changes

Page 18: 1 MODEL RETAIL CONTRACT PROJECT: FRAMEWORK ISSUES Tony Baldwin 27 August 2003

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HISTORY

• May – Aug 03: ECC consults with members + consumer groups

• July 03: MGB establishes MRCPT. No joint action plan with ECC

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NEXT STEPS

• Possibly Sept 03: ECC to recommend changes to Board of Council

• Within 2 weeks: Board required to establish Scheme of Amendment Committee (SAC). Appointments: 6 by Board + 6 Consumers Institute. SAC can only vote yes or no. Can’t amend changes. Vote reported to Board.

• Within 40 days: Council members vote – only yes or no. Can’t amend changes. Revised Code not likely to take effect before November 03.

• Aug 04: ECC constitution requires whole scheme to be reviewed

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NATURE OF CODE• Largely a set of disclosure obligations. Only about 10 of 54 clauses

set substantive minimum operating standards eg:

– 7.1: 30 days notice of changes to contracts– 8.3: Quality of service to meet ‘good industry standards’ –

to be established by a survey process– 10.1: Entitlement to refunds– 10.4: Self-meter reading– 13.6: 7 days notice of disconnection– 15.1: 4 days notice of planned shutdown– 19.2: Cap on retailer liability

• In concept, the Code is a set of principles, with details in contracts

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ECC COMMISSIONER’S ROLE

• Makes recommendations as to fair and reasonable settlement after applying:– Statute and common law– Contract between retailer and consumer– ECC Code (which prevails over contract if conflict)– ‘Good industry practice’ (GIP) (based on survey of retailers)

• GIP is, in effect, a means of amending the Code between formal reviews

Page 22: 1 MODEL RETAIL CONTRACT PROJECT: FRAMEWORK ISSUES Tony Baldwin 27 August 2003

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ECC SCHEME STRUCTURE

Companies

Council

Board3 lines +3 retail +Indep chair (John Robertson)

ECC Commission1 lines +1 retail +2 consumers +Indep chair (Alison Paterson)

Commissioner

Office

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OBSERVATIONS

• Concept of Code and Model Contract not clear at start, particularly how ‘dove-tailed’ and how specific

• Driven by concern to build public confidence in credibility of retail competition as a discipline on costs and prices

• Based on assumption of industry self-regulation – no longer valid (Govt threat to regulate if not delivered)

• Part B of draft EGB Rules left blank

• Poor planning and co-ordination between ECC and MGB – ironic given common membership

Page 24: 1 MODEL RETAIL CONTRACT PROJECT: FRAMEWORK ISSUES Tony Baldwin 27 August 2003

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ECC ISSUES

August 04 Review - Possible Outcome:

• Council is disolved

• ECC changes name to Electricity Ombudsman’s Office – role narrowed to dispute resolution

• New Commission becomes responsible for Code – with minimum contractual requirements

• New Commission could also prescribe a model contract under Ministerial direction (giving legal force to GPS)

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ECC ISSUES

Current Code Review:

Should ECC pause to see shape of MRCPT work before recommending Code changes to Board of Council?

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MGB Issues

• How does MGB respond to:

– Govt’s call for a Model Contract

– Possible role of new Commission

– ECC Code review

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MGB Options

1. No Change: Continue current independent MRCPT process

2. Seek to Integrate: Option 1 as above, but try to dovetail with ECC Code review process (means ECC pauses). MRCPT continues if not possible

3. Freeze: Put MRCPT process on hold now pending completion of ECC Code review (recognising that ECC Council members have final vote)

4. Abandon: Cancel MRCPT process and promote single Code and/or wait to deal with new Commission on model contract

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COMMENT

• Options 3 + 4 involve:

– Explanation to Government as to why no model contract

– Risk new Commission will impose more prescriptive minimum requirements on retailers with less scope for retailer input

– Perception within Government and new Commission of retailer failure of leadership and responsibility