You are using an outdated browser and your browsing experience will not be optimal. Please update to the latest version of Microsoft Edge, Google Chrome or Mozilla Firefox. Install Microsoft Edge

August 19, 2020

PTIT Focus: Extension of the Schedule of Operation Date to Distribute Power to the Commercial Network Due to Force Majeure

Petroleum Institute of Thailand: PTIT Focus

On 28 November 2018, the Energy Regulatory Commission (ERC) passed a resolution to extend the Schedule of Operation Date (SCOD) due to force majeure. Subsequently, the ERC issued the Notification Regarding Methods of Considering the Extension of SCOD to Distribute Power to a Commercial Network Due to Force Majeure. However, the notification did not stipulate specific types or sizes of power plants under energy purchase agreements.

Under the notification, a force majeure  event that can be a justification for the extension of SCOD must be a force majeure  event as defined under the Civil and Commercial Code, and as set out under the regulations regarding power purchases and power purchase agreements. Accordingly, a force majeure  event is one in which the occurrence, or consequences, could not be prevented even though the victim (or near-victim) took appropriate care as might be expected from him or her in that situation and in such condition.

Force majeure  also refers to government actions. These could include changes in energy policies or in the law that result in the project owner, the project sponsor, or the Electricity Sales Department being unable to comply with any provision of the regulations regarding power purchase agreements, as well as seizure of the project, assets or any rights, shares, or benefits from the contracted energy producer by a government entity. Also covered are blockades or other acts of war; uprisings, rebellions, disturbances, and strikes; as well as accidents such as earthquakes, storms, fires, floods, and unusually bad weather conditions. Also considered force majeure  would be accidental disruptions to the power distribution system caused by accident. All of these scenarios could severely impact the project or the performance of the energy producer’s duties under the power purchase agreement.

Furthermore, when determining force majeure, both the nature of the facts and the circumstances must both be considered, and the following factors must be met: (1) The party claiming force majeure  must not have been the cause (or have contributed to) the facts or circumstances resulting in that party’s inability to comply with regulations regarding energy purchase agreements. (2) The party claiming force majeure  must have taken appropriate care as might be expected from them in that situation and in those conditions, despite the facts or circumstances of the events that occurred being unforeseeable or unpreventable, or beyond the party’s control. (3) The party claiming force majeure  must have made attempts to satisfy the energy purchase agreement. (4) The party claiming force majeure  must have made efforts to mitigate the possible impacts as appropriate for a person in that situation and in those conditions.

When determining the extension of a SCOD for distributing power to a commercial network due to force majeure, the factors must include the project’s preparedness under four areas: the preparedness of the property, the preparedness of the technology, the preparedness of the source of investment funds, and the preparedness of obtaining approvals under the relevant laws and regulations. The determination of the extension of the SCOD must also be such that the extension is only as is necessary and suitable, and must take into account the significance and impact of the force majeure  event. Officials must also periodically report to the Energy Policy Executive Committee and the National Energy Policy Council.

In conclusion, force majeure  is a general legal basis wherein a contracting party is unable to perform their duties under the agreement due to a force majeure  event, whereby that party is not held to be at fault for the inability to perform their duties. Nevertheless, the extent to which force majeure  can be used in determining the extension of the SCOD must be considered in accordance with the factors stipulated in the notification referenced above, including the combined nature of the facts and circumstances, as well as the preparedness of the project with regard to the four areas described above. This notification serves as a guideline to be used at the discretion of the government authorities in extending the SCOD in a manner that displays good governance, and following it will result in the highest fairness for commercial operators and other persons affected by the extension of the SCOD.

 

This article first appeared in the August 2019 edition of PTIT Focus, the Petroleum Institute of Thailand’s monthly newsletter. The article was published in both English and Thai. 

RELATED INSIGHTS​ 

February 2, 2021
The application period for very small power producers (VSPPs) aiming to participate in the community power plant project is fast drawing to a close, with the deadline set for February 4, 2021. February 4 is also the closing date of the period for public comments on the two draft regulations outlining the pilot project to procure electricity from community power plants. These draft regulations are being finalized by the Energy Regulation Commission (ERC)  as part of an effort to boost the economy at a grassroots level. The community power plant project will procure 150 MW from VSPPs producing electricity from either biomass or biogas. 75 MW will be obtained from biomass VSPPs, with a limit of 6 MW to each biomass VSPP, while 75 MW of the electricity procurement will be obtained from biogas VSPPs with a limit of 3 MW each. VSPPs wishing to apply for the community power plant project must be 90%-owned by a private company, while 10% of ownership must be under a community enterprise or community enterprise network—consisting of at least 200 households—registered with the Department of Agricultural Extension. Furthermore, the fuel used by the VSPP must be either biogas or biomass obtained from the community enterprise or community enterprise network, and must not include fossil fuels. Once VSPPs have submitted their applications, they will be subject to a technical assessment to determine power production readiness, and will undergo a process of competitive bidding. VSPPs will be compared and selected based on a number of factors, including power production capacity, ability to operate for duration of the 20-year project, and the proposed fixed feed-in tariff (FiT). VSPPs that are chosen to participate in this pilot project will be subject to the following FiTs per unit of electricity, based on the type of fuel and
October 15, 2020
Practical Law has published the 2020 online version of Electricity Regulation in Thailand: Overview, a Q&A-style guide that provides detailed overviews of power issues and regulations for operators in the Thai electricity market. The Thailand overview is one of 22 such guides to jurisdictions worldwide, covering key practical issues related to the legal environment for agricultural operations.
October 13, 2020
On September 9, 2020, Vietnam’s Ministry of Industry and Trade (MOIT) issued Circular No. 21/2020/TT-BCT on the order and procedures for issuance of electricity operating licenses (Circular 21). Circular 21 will take effect on October 26, 2020, replacing Circular No. 36/2018/TT-BCT as amended by Circular No. 15/2019/TT-BCT (together, Circular 36).
October 1, 2020
Partner Vinh Quoc Nguyen and senior associate Tu Ngoc Trinh have contributed a chapter on electricity regulations in Vietnam, with a focus on the emerging renewable energy field, for the 2020 edition of the Practical Law Energy and Natural Resources Global Guide . The guide provides a comparative high-level overview, in a concise Q&A format, of energy laws and regulations in multiple jurisdictions around the world, and is split into three sections featuring regulations on (i) electricity, (ii) oil and gas, and (iii) mining. The Vietnam electricity chapter covers a range of topics, including the following: Recent trends in Vietnam’s electricity market and regulatory structure Companies involved in electricity generation, transmission, distribution and supply Import and export of electricity Electricity generation and renewable energy sources, including government policies and incentives Electricity transmission, distribution, and supply Proposals for reform, including privatization Practical Law Company is owned by Thomson Reuters and provides global guides covering legal know-how for corporate lawyers, including Global Guides to electricity regulation. Tilleke & Gibbins also contributes the Thailand chapter of this guide, as well as guides to numerous other practice areas. The full chapter can be viewed on the Practical Law website or downloaded using the button below.