CUI/CEII - PUBLIC VERSION

CRITICAL ENERGY INFRASTRUCTURE INFORMATION OMITTED

 

June 22, 2018

 

 

By Hand Delivery

Hon. Kimberly D. Bose Secretary

Federal Energy Regulatory Commission 888 First Street, N.E.

Washington, D.C. 20426

Re:    New York Independent System Operator, Inc.’s Informational Filing in Docket No.
ER12-2568-000

 

Dear Ms. Bose:

This filing is submitted to the Commission by the New York Independent System Operator (“NYISO”) in the above docket for informational purposes only.  No action is requested.

I.   Background

In this filing, NYISO submits a copy of the Consolidated Edison System Restoration Plan

(“Con Edison Plan”) dated June 1, 2018.  This informational filing is made pursuant to Section 15.5 of
the NYISO Market Services Tariff, which states that the NYISO will submit to the Commission a copy
of the Con Edison Plan, if revised, within 30 days of receipt.  NYISO requests that the Con Edison
Plan be treated as Critical Energy Infrastructure Information (“CEII”) for the reasons outlined below.

II. CEII Designation/ Request for Exemption from FOIA

The information that the NYISO is providing is CEII.  In accordance with 18 C.F.R. § 388.113 the NYISO hereby requests CEII designation and an exemption from disclosure under the Freedom of Information Act (“FOIA”) (5 U.S.C. 552(b)) for the enclosed Con Edison Plan.

Critical Energy Infrastructure Information Justification

As defined by 18 C.F.R. § 388.113(2), CEII is “specific engineering, vulnerability, or detailed design information about proposed or existing critical infrastructure that:

(i)Relates details about the production, generation, transportation, transmission, or

distribution of energy;

(ii)   Could be useful to a person in planning an attack on critical infrastructure;

 

10 Krey Boulevard, Rensselaer, New York 12144 | www.nyiso.com


 

 

Honorable Kimberly D. BoseCUI/CEII - PUBLIC VERSION

June 22, 2018CRITICAL ENERGY INFRASTRUCTURE INFORMATION OMITTED

Page 2

(iii)  Is exempt from mandatory disclosure under FOIA, 5 U.S.C. 552; and
(iv)  Does not simply give the general location of the critical infrastructure.”

The Con Edison Plan meets the definition of CEII set forth in 18 C.F.R. § 388.113 and should
be designated as such because (i) it identifies and provides connectivity information about the
generators and bulk power transmission substations that are critical for the operation of the bulk power
system in the New York City Area and Westchester County; (ii) such information, if disclosed, could
be useful to a person planning an attack on the New York State power system; (iii) it is exempted from
mandatory disclosure under FOIA (see discussion of FOIA exemptions 5 U.S.C. § 552(b)(3) and 5
U.S.C. § 552(b)(7)(F) below); and (iv) it provides more than simply the general location of critical
infrastructure.

Further, the NYISO respectfully requests that the Con Edison Plan be re-designated as CEII

should the designation expire pursuant to 18 C.F.R. § 388.113(e)(1), as the NYISO anticipates that this
information will continue to satisfy the definition of CEII for the reasons set forth herein indefinitely.

Request for Exemption from FOIA Disclosure

The Con Edison Plan is exempt from the public disclosure requirements under FOIA pursuant to 5 U.S.C. § 552(b)(3) and §552 (b)(7)(F) for the reasons set forth below.

First, 5 U.S.C. § 552(b)(3) protects documents and data from disclosure under FOIA if the

documents or data are specifically exempted from disclosure by statute.  Here, the Con Edison Plan is specifically exempted from disclosure by statute - specifically, 18 C.F.R. § 388.113.  As evidenced above, the Con Edison Plan satisfies the definition of CEII in 18 C.F.R. § 388.113.

Second, 5 U.S.C. § 552(b)(7)(F) specifically exempts from disclosure under FOIA, records or information that “could reasonably be expected to endanger the life or physical safety of any
individual.”  The disclosure of the Con Edison Plan could pose a threat to the reliability of the New York State Electric System and to the health and safety of New York residents supplied from the
electric system.  Specifically, the Con Edison Plan reveals the detailed plans to restore the electric
system in the New York City Area following an area wide power outage.  The Con Edison Plan
identifies the key generation and transmission facilities of the bulk power system and provides details of the specific actions Con Edison will take to reenergize the system during a blackout event.  It
contains detailed system diagrams and equipment information.  This information could be used to
thwart efforts to restore power to the New York City Area.

The NYISO respectfully requests that, in the event the Commission receives a FOIA request pertaining to the NYISO’s submittal, the Commission protect the confidentiality of the information identified above by applying the applicable FOIA exemption (or other applicable confidentiality provisions) to exempt the Con Edison Plan from disclosure.

Before the Commission determines that it is necessary or appropriate to make public any
information submitted herewith (whether submitted pursuant to a claim of exemption from FOIA
disclosure, or otherwise), the NYISO respectfully requests that it be given prior notice and an
opportunity to comment on, or object to, the public disclosure of the information it has submitted.


 

 

Honorable Kimberly D. BoseCUI/CEII - PUBLIC VERSION

June 22, 2018CRITICAL ENERGY INFRASTRUCTURE INFORMATION OMITTED

Page 3

Please feel free to contact me at the telephone number or email address below with any
questions regarding the enclosed document or NYISO’s requests for its exemption from public
disclosure.

Respectfully submitted,

/s/  Christopher R. Sharp

Christopher R. Sharp, Senior Compliance Attorney New York Independent System Operator, Inc.
Tel: 518-356-7537

csharp@nyiso.com

 

 

cc. Walter Hedeman, Esq., Consolidated Edison Company of New York, Inc.

Anna Cochrane, Federal Energy Regulatory Commission

James Danly, Federal Energy Regulatory Commission
Jette Gebhart, Federal Energy Regulatory Commission
Jignasa Gadani, Federal Energy Regulatory Commission
Kurt Longo, Federal Energy Regulatory Commission
David Morenoff, Federal Energy Regulatory Commission
Daniel Nowak, Federal Energy Regulatory Commission
Larry Parkinson, Federal Energy Regulatory Commission
Douglas Roe, Federal Energy Regulatory Commission
Kathleen Schnorf, Federal Energy Regulatory Commission
Gary Will, Federal Energy Regulatory Commission