Consumers should have convenient, useful access to the best available information about their energy usage and costs – and the ability to share that information directly with providers of their choice.
2018 2014 Data access policy in place Under consideration 36+ million meters and growing…
Cybersecurity in the DER Oversight Order • UBP-DERS Section 2 C: • Con. Ed is requiring Data Security Agreements of Green Button Connect users • JU determined that DSAs apply to DERS that use Green Button Connect (not just ESCOs) • The absurdity is that credential-sharing is pervasive – for good reason
Consent flow: EDI vs. Green Button Connect EDI Utility ESCO DERS #1: Signup Customer #2: Consent
ESCOs vs. DER Suppliers ESCOs using EDI DERS using Green Button Connect Who authorizes? the ESCO the Customer Does utility trust? Yes No Can customers Somewhat captive decline the service? Regulated by PSC? Yes Under development • Optionality is valuable to DER market
Norms from other states with GBC DERS eligibility Cybersecurity requirements Anyone; must not be “banned” by CPUC Anyone “Reasonable safeguards” Illinois Anyone Texas Anyone None other than nondisclosure None California Colorado None
Thank You! Michael Murray, President michael@missiondata. io (510) 910 -2281 Reports available on our website: missiondata. io