Energy Alert
February 22, 2016
If you read one thing . . .
CRE has enacted the Provisions in order to promote efficient
development of the generation, transmission and distribution sectors
and the commercialization of electric energy.
The Provisions establish the rights and obligations for transporters,
distributors and users of transmission and distribution services,
allowing competitive development of the WEM and efficiency in the
provision of such services.
The Provisions are an additional component of Mexico’s ongoing
energy reform, which seeks to protect the interests of the users and
the public as a whole while ensuring effective, efficient and continuous
services.
General Administrative Provisions on Transmission and Distribution
On February 16, 2016, the Energy Regulatory Commission (CRE) published the general administrative
provisions regulating open access to the National Transmission Network (RNT) and the General
Distribution Networks (RGD) and provision of related services (the “Provisions”). The Provisions were
enacted by the CRE in order to further promote efficient development of the generation, transmission and
distribution sectors and the commercialization of electric energy.
The Provisions went into effect
simultaneously with the start of operations of the Wholesale Electricity Market (WEM), which occurred on
January 29, 2016.
The Provisions apply to the activities of the National Center for Energy Control (CENACE), as well as
transporters and distributors, when they are engaged in transmission and distribution of electricity as part
of the National Electric System (SEN). Whenever the Ministry of Energy, transporters or distributors form
partnerships or enter into agreements with private third parties to carry out, on behalf of the Mexican
government, the financing, installation, maintenance, management, operation and expansion of the
infrastructure necessary to provide the transmission and distribution services, such partnerships and
agreements will also be subject to the Provisions.
The following are some of the most relevant aspects of the Provisions:
© 2016 Akin Gump Strauss Hauer & Feld LLP. This document is distributed for informational use only; it does not
constitute legal advice and should not be taken as such.
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• Transporters and distributors are responsible, respectively, for the construction and maintenance of
transmission and distribution facilities, subject to the participation and guidance of CENACE in terms
of operational control of SEN and the operation of the WEM.
• In line with the public-use purpose of the transmission and distribution services, transporters and
distributors must grant open and nondiscriminatory access to the RNT and the RGD for users of such
services, as follows:
• No preference may be given to any applicant in the procurement, confirmation or allocation of
capacity for transmission or distribution, other than the preferences already set forth in the
Market Rules, the Provisions, the CGPS (the general terms and conditions for the provision of
public services of transmission and distribution of electricity, which are included in the
Provisions, as discussed in further detail below) and other applicable regulations.
• Open access to the RNT and the RGD is subject to specific parameters, which are detailed in the
Provisions.
• CENACE must guarantee the implementation of a system that would allow equitable and
nondiscriminatory access to the transmission and distribution networks for all qualified users on the
basis of regulated tariffs.
• CENACE may deny access to a connection in the event that the network does not have the
necessary capacity. Such denial must be properly justified and delivered in writing to the applicant in
question.
• CENACE, transporters and distributors (or contractors) must enter into agreements establishing the
terms and conditions for providing and invoicing public transmission and distribution services (the
“Agreements”). These Agreements will ensure coordination between the applicable parties necessary
for the successful technical and commercial operation of such services.
• The Agreements must incorporate the terms of CGPS and be consistent with the Market Rules
where relevant. For a more detailed discussion of the model Agreements, please refer to our
Client Alert issued on January 28, 2016.
• The Provisions also set forth the quantitative parameters to be used for the evaluation of the
performance of the RNT and the RGD, including the availability, quality and continuity of services.
General Terms and Conditions for the Provision of Public Services of
Transmission and Distribution of Electricity (CGPS)
The CGPS terms have been included within the Provisions as an annex.
These terms establish the rights
and obligations for transporters, distributors, and users of transmission and distribution services, and
reflect common industry practices under the principles allowing competitive development of the WEM and
efficiency in the provision of such services.
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. The terms of the CGPS are generally nonnegotiable. The parties entering into the Agreements (including
CENACE, transporters or distributors, and the market participants or end users) may not establish
provisions that differ from the CGPS terms, unless the CGPS itself identifies such provisions as
negotiable. In such special circumstances, the parties are allowed to modify the CGPS provisions as
applied to their Agreements, provided that the general principles of the Provisions and the CGPS are
preserved. If such special provisions are agreed upon by the parties, the CRE must be notified
accordingly within the time frames set forth by the Provisions and the CGPS.
The CGPS also includes terms and conditions relating to:
• rights and obligations of service providers and users
• regulated tariffs
• invoicing and payments
• suspension and resumption of services
• penalties and loss compensation
• rescission or early termination of agreements
• dispute resolution.
The Provisions are yet another component of Mexico’s ongoing energy reform, which seeks to protect the
interests of the users and the public as a whole by ensuring that transporters and distributors provide
effective, efficient and continuous services.
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Contact Information
If you have any questions regarding this alert, please contact:
Dino Elizardo Barajas
Steven P. Otillar
Carlos M. Bermudez
dbarajas@akingump.com
310.552.6613
Los Angeles
sotillar@akingump.com
713.250.2225
Houston
cbermudez@akingump.com
310.728.3320
Los Angeles
Vladimir Fet
Larissa Calva Ruiz
vfet@akingump.com
310.552.6616
Los Angeles
lcalvaruiz@akingump.com
310.229.1063
Los Angeles
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