BSC Changes impacting a Licensed Distribution Systems Operator

This page shows which Modifications and Change Proposals have been identified as impacting a Licensed Distribution Systems Operator. Please note that the assessment of where impacts may affect certain roles within the electricity market may be amended during the course of the Change process.

(Showing items 1-5 of 28)

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P437 ‘Allowing non-BSC Parties to request Metering Dispensations’

This Modification proposes to introduce a provision in Section L ‘Metering’ to allow the relevant Meter Operator Agent to apply for Metering Dispensations on behalf of a non-BSC Party.

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P441 ‘Creation of Complex Site Classes’

This Modification looks to progress a recommendation of the Issue 88 Workgroup to introduce Complex Site classes. These classes would categorise the types of Complex Site, each having clearly defined criteria within the BSC. A new “type” of Complex Site (referred to as a Class 6 Complex Site) to allow approval of ”non-standard” complex sites would also be introduced.
P441 would also clarify when the netting of Imports from Exports for multiple Metering Systems registered in Supplier Volume Allocation (SVA) is permitted.

This change would facilitate consistency across the market and as so called “Local Energy Schemes” become more popular, rules for when netting are permitted would be clearly defined going forward.

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CP1567 ‘New BSC Procedure (BSCP) for Assurance Information Requests (AIRs)’

The AIR is a Performance Assurance Technique (PAT) which was introduced in May 2022. Currently there is no related BSCP for an AIR, therefore when issuing an AIR, there is no written obligation on Parties to adhere to the request.

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CP1559 ‘Complex Sites Process Improvements’

This Change Proposal will deliver improvements to the Complex Sites process.

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P427: Publication of Performance Assurance Parties’ impact on Settlement Risk

This Modification seeks to amend BSC Section Z to allow the Performance Assurance Board (PAB) to recommend that the Panel publish notices to industry in respect of Performance Assurance Parties’ (PAPs’) contribution to Settlement Risk along with relevant risk data.

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