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Project 2008-13
Interpretation
− TOP-002-2 −
Normal Operations Planning
Related Files
Status:
The interpretation has been approved by FERC on December 2, 2009. The request
by OUC asks:
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Is the Transmission Operator required to conduct a "unique" study
for each operating day, even when the actual or expected system
conditions are identical to other days already studied? In other
words, can a study be used for more than one day?
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Are there specific actions required to implement a "study"? In other
words, what constitutes a study?
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Does the term, "to determine SOLs" as used in the first sentence of
Requirement 11 mean the "determination of system operating limits"
or does it mean the " identification of potential SOL violations"?
Interpretation Process:
In accordance with the Reliability Standards
Development Procedure, the interpretation must be posted for a 30-day
pre-ballot review, and then balloted.
There is no public comment period for an interpretation.
Balloting will be conducted following the same method used for
balloting standards.
If the interpretation is approved by its ballot pool, then the
interpretation will be appended to the standard and will become
effective when adopted by the NERC Board of Trustees and approved by the
applicable regulatory authorities. The interpretation will remain
appended to the standard until the standard is revised through the
normal standards development process.
When the standard is revised, the clarifications provided by the
interpretation will be incorporated into the revised standard.
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