10 Krey Boulevard Rensselaer, NY 12144
THIS FILING LETTER DOES NOT CONTAIN ANY PRIVILEGED OR
CONFIDENTIAL INFORMATION. ATTACHMENT I - THE BODY OF REPORT,
ALONG WITH THE REDACTED VERSIONS OF TABLES 2 THROUGH 6 (MARKED PUBLIC) DOES NOT CONTAIN ANY PRIVILEGED OR CONFIDENTIAL
INFORMATION. ATTACHMENT II - CONFIDENTIAL TABLES AND DEMAND SIDE ANCILLARY SERVICES PROGRAM DETAILS, INCLUDES THE
UNREDACTED TABLES, WHICH CONTAIN PRIVILEGED AND CONFIDENTIAL INFORMATION, AND IS SUBMITTED SEPARATELY.
January 15, 2015
Kimberly D. Bose, Secretary
Federal Energy Regulatory Commission 888 First Street, N.E.
Washington, D.C. 20426
Re: Annual Report in Docket No. ER01-3001-000;
Request for Privileged Treatment of Attachment II
Dear Ms. Bose:
Enclosed for filing in the above-referenced docket is the New York Independent System
Operator Inc.’s (“NYISO”) annual report to the Federal Energy Regulatory Commission
(“Commission”) on the NYISO’s Demand Side Management programs. By Order dated
February 19, 2010, the Commission directed the NYISO to file this report for informational
purposes only.1
I. List of Documents Submitted
The NYISO submits this filing letter, accompanied by: (i) Attachment I, the NYISO 2014
Annual Report on Demand Response Programs, which includes redactions in Tables 2 through 6
of confidential, commercially sensitive information, and (ii) Confidential Attachment II, which
contains the unredacted versions of Tables 2 through 6. Confidential Attachment II also contains
an update on the status of resources participating in the NYISO’s Demand Side Ancillary Service
Program.
1 New York Independent System Operator, Inc., Letter Order, Docket Nos. ER01-3001-021, et al. (Feb. 19, 2010).
Kimberley D. Bose, Secretary January 15, 2015
Page 2
II. Request for Confidential Treatment of Attachment II
In accordance with Sections 388.107 and 388.112 of the Commission’s Regulations,2
Article 6 of the NYISO’s Market Administration and Control Area Services Tariff, and Sections
12.1(4) and 12.4 of the NYISO’s Code of Conduct in Attachment F of the NYISO Open Access
Transmission Tariff, the NYISO requests Privileged and Confidential treatment of the contents
of Attachment II to this filing letter. The NYISO also requests that the confidential Attachment
II be exempted from public disclosure under the Freedom of Information Act (“FOIA”), 5 U.S.C.
§552.3
Attachment II includes information regarding the number of demand response resources in a load zone that, when aggregated, are not greater than five (5). With such a small number of resources in the load zone, the NYISO’s aggregation of the data reported for that load zone may not sufficiently mask confidential and commercially sensitive Market Participant information
that the NYISO does not make public. Attachment II also includes a brief discussion of the
status of enrollment and registration for the resources seeking to participate in the NYISO’s
Demand Side Ancillary Services Program. The number of resources described in this discussion similarly may not sufficiently mask confidential and commercially sensitive Market Participant information that the NYISO does not make public.
Attachment II, therefore, contains privileged, commercially sensitive, trade secret
information that is exempt from disclosure under 5 U.S.C. §552(b)(4). Disclosure of such
information could cause competitive harm to the affected Market Participants,4 and could
adversely affect competition in the markets administered by the NYISO. For this reason, the
NYISO requests that the contents of Attachment II receive Privileged and Confidential treatment and be exempt from FOIA disclosure. Attachment II is identified and marked in accordance with the Commission’s regulations and rules published by the Secretary’s Office for submitting
Privileged information.
III. Correspondence
Copies of correspondence concerning this filing should be addressed to:
Robert E. Fernandez, General Counsel
Raymond Stalter, Director of Regulatory Affairs * Gregory J. Campbell, Attorney
New York Independent System Operator, Inc.
10 Krey Boulevard
2 18 C.F.R. §§ 388.107 and 388.112 (2014).
*Ted J. Murphy
Hunton & Williams LLP
2200 Pennsylvania Avenue, NW Washington, D.C. 20037
Tel: (202) 955-1500
3 The information provided by the NYISO for which the NYISO claims an exemption from FOIA disclosure is labeled “Contains Privileged Information - Do Not Release.”
4 Terms with initial capitalization not defined herein have the meaning set forth in the NYISO’s Market Administration and Control Area Services Tariff.
Rensselaer, NY 12144
Tel: (518) 356-6000
Fax: (518) 356-4702
rfernandez@nyiso.com
rstalter@nyiso.com
gcampbell@nyiso.com
* -- Persons designated for service.
Fax: (202) 778-2201
tmurphy@hunton.com
Kevin W. Jones
*Michael J. Messonnier, Jr.5 Hunton & Williams LLP
951 East Byrd Street
Richmond, VA 23219
Tel: (804) 788-8200
Fax: (804) 344-7999
kjones@hunton.com
mmessonnier@hunton.com
IV. Conclusion
WHEREFORE, the New York Independent System Operator, Inc. respectfully requests that the Commission accept this informational filing and treat the contents of Attachment II as Privileged and Confidential and exempt from FOIA disclosure.
Respectfully submitted,
/s/ Gregory J. Campbell
Attorney
New York Independent System Operator, Inc.
10 Krey Boulevard
Rensselaer, New York 12144 (518) 356-8540
cc:Michael Bardee
Gregory Berson
Anna Cochrane
Jignasa Gadani
Morris Margolis
David Morenoff
Daniel Nowak
Jamie Simler
5 The NYISO respectfully requests waiver of 18 C.F.R. § 385.203(b)(3) (2011) to permit service on counsel for the NYISO in both Washington, D.C. and Richmond, VA.