BSC Changes impacting a SVA Meter Operator Agent
This page shows which Modifications and Change Proposals have been identified as impacting a SVA Meter Operator Agent. 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.
CP1594 ‘Creating an Approval Process for New and Legacy Communication Types’
Older metering communication types are quickly becoming redundant and are being replaced by newer communication types. Elexon are proposing to create an approvals process to allow for the managed end dating of older technologies, such as Public Switched Telephone Network (PSTN), Circuit Switched Data (CSD) and subsequently 2G.
P463 ‘Introduce a Standard Change Process’
To introduce a new change process – a ‘Standard Change’ process – into the BSC arrangements that would allow for certain, low risk, predictable and repeatable pre-authorised changes to be implemented without following the existing Change Proposal or Modification procedures.
P432 ‘Half Hourly Settlement for CT Advanced Metering Systems’
This Modification proposes to align the BSC definition of an Advanced Meter with that in the Standard License Conditions (SLC) and to set explicit Half Hourly (HH) Settlement obligations for Current Transformer (CT) Advanced Meters ahead of the migration to Market-wide Half-Hourly Settlement (MHHS).
CP1588 ‘Mandating Calibration Checks for Main and Check Meters’
This CP proposes to provide an assurance process to confirm whether a Meter Type is still operating within the allowed accuracy limits or is drifting towards, or beyond, the extreme end of the limits. It will also define the steps to be taken where an issue is identified mitigating the risk to Settlement. CP1588 originates from Issue 93 ‘Review of the BSC Metering Codes of Practice’.
P453 ‘Metering Dispensation process improvements and clarification to the CoPs’
This Modification seeks to progress two recommendations from Issue 93 ‘Review of the BSC metering Codes of Practice’. The first recommendation clarifies the relevant Code of Practice (CoP) for circuits embedded behind the Boundary Point Metering System or Defined Metering Point (DMP). The second recommendation eliminates the need for Metering Dispensations when the Actual Metering Point (AMP) does not coincide with the DMP, but there is no impact on Settlement accuracy.