HomeMy WebLinkAbout7.1 East Bay Community Energy Renewable and Carbon-Free Electricity (2)STAFF REPORT
CITY COUNCIL
Page 1 of 5
Agenda Item 7.1
DATE:January 12, 2021
TO:Honorable Mayor and City Councilmembers
FROM:Linda Smith, City Manager
SUBJECT:East Bay Community Energy Renewable and Carbon-Free Electricity
Prepared by: Shannan Young, Environmental Services Division Manager
EXECUTIVE SUMMARY:
The City Council will consider a 100% renewable and carbon-free default electricity product for
most Dublin residents. Setting the residential default electricity product to the Renewable 100
electric power portfolio offered by the City of Dublin’s energy provider, East Bay Community
Energy, will facilitate meeting greenhouse gas emissions reductions goals adopted in the Climate
Action Plan 2030 and Beyond. Medical baseline accounts and customers on California Alternate
Rates for Energy and Family Electric Rate Assistance programs would remain on the current
default East Bay Community Energy electricity product, Bright Choice.
STAFF RECOMMENDATION:
Adopt the Resolution Requesting East Bay Community Energy Enroll City of Dublin Residential
Accounts in Renewable 100 as the Default Electricity Product.
FINANCIAL IMPACT:
There is no impact to the General Fund since all municipal electricity accounts are currently
supplied with the Renewable 100 power portfolio. A discussion regarding cost impacts to the
community is included in the report below.
DESCRIPTION:
Background
At its September 15, 2020 meeting, the City Council adopted Resolution 100-20 (Attachment 2)
approving the City of Dublin Climate Action Plan 2030 and Beyond (CAP 2030). The CAP 2030
establishes the City’s goal to reduce greenhouse gas (GHG) emissions by 40% below 1990 levels
by 2030 and sets the City on the path to achieve carbon neutrality by 2045. The CAP 2030 includes
22 measures upon which the City must take action to meet its GHG emissions reduction goals. The
most significant action the City can take to meet the goals in the CAP 2030 is setting community-
127
Page 2 of 5
wide electricity accounts to carbon-free power. As shown below in Table 6-1 of CAP 2030, this one
action (Measure CF-1) reduces GHG emissions by approximately the equivalent of 25,000 metric
tons of carbon dioxide, which is more than half of all the combined GHG emissions reductions that
can be achieved in CAP 2030.
CAP 2030 Table 6-1:
GHG Emissions Reduction Measures Quantification (MT CO2e) by Strategy
Measure
2025 GHG
Emissions
(MT CO2e*)
2030 GHG
Emissions
Reductions
(MT CO2e)
Strategy 1 - Renewable and Carbon-Free Energy (CF)
Measure CF-1: Opt Up to 100% Carbon-Free or
Renewable Electricity
25,525 20,195
Strategy 2 - Building Efficiency and Electrification
(EE)
Measure EE-1: Achieve All-Electric New Building
Construction
2,633 4,828
Measure EE-4: Develop an Existing Building
Electrification Plan
5,289 15,027
Strategy 3 - Sustainable Mobility and Land Use (SM)
Measure SM-1: Adopt an Electric Vehicle Charging Station
Reach Code
8,320 26,288
Measure SM-3: Develop a Transportation Demand
Management Plan
2,540 4,036
Measure SM-5: Update and Implement the Bicycle and
Pedestrian Master Plan
328 537
Strategy 4 - Materials and Waste Management (MM)
Measure MM-1: Achieve the Waste Diversion
Requirements of SB 1383
3,427 3,615
Reductions Needed (Emissions Gap)30,177 73,866
Total Measures Reduction Potential 48,062 74,526
*MT CO2e means metric tons carbon dioxide equivalent.
The City can achieve the CAP 2030 goal to provide renewable and carbon-free electricity to the
Dublin community through partnership with the City’s electricity provider, East Bay Community
Energy (EBCE). EBCE is the community choice aggregation (CCA) program for most cities in
Alameda County and the City of Tracy (the City of Alameda does not participate since it owns its
electricity company, Alameda Municipal Power). Authorized by California law in 2002, CCA
enables cities and counties to pool the electricity demand within their jurisdictions in order to
procure or generate electrical power on behalf of the residents and businesses in their
communities. CCAs work in partnership with the region’s existing utility, Pacific Gas & Electric
(PG&E). Under the partnership, the CCA (EBCE) procures and/or generates electricity on behalf of
128
Page 3 of 5
its customers, while PG&E continues to deliver power to homes and businesses, manages
customer billing, and maintains the electric grid. On December 6, 2016, City Council approved
participation in EBCE as one of the founding members of the EBCE Authority Joint Powers
Agreement with the adoption of Ordinance 13-16, an Uncodified Ordinance Authorizing the
Implementation of a Community Choice Aggregation Program (Attachment 3).
The electric power portfolio options provided by EBCE have been in flux over the past year. When
Staff initially began developing measures for the CAP 2030, the three electric power portfolios
offered by EBCE were:
Bright Choice, which is offered at a slight discount to PG&E’s standard rates but is not
100% carbon-free;
Brilliant 100, which is 100% carbon-free and has been offered at rates on par with PG&E’s
standard rates; and,
Renewable 100, which is both 100% carbon-free and 100% renewable and is offered at a
slight premium to PG&E’s standard rates.
When the CAP 2030 was brought to the City Council for consideration on September 15, 2020,
Staff noted that the status of Brilliant 100 was uncertain (Attachment 4) because the EBCE Board
had voted to freeze new enrollments in Brilliant 100 as of July 1, 2020.
The reason for EBCE freezing new Brilliant 100 enrollments is twofold. On April 22, 2020, the
EBCE Board voted to decline to accept an allocation of nuclear energy from PG&E. The EBCE Board
also voted to establish a power content procurement floor so that renewable energy from wind
and solar is now the benchmark for comparing EBCE’s carbon-free power content, which
previously included large hydropower, to PG&E’s carbon-free power, which includes both large
hydropower and nuclear energy. These two decisions caused Brilliant 100 to be more expensive to
procure and supply than PG&E standard rates, causing Brilliant 100 to be unsustainable in its
current form from a business perspective.
Since the April 22, 2020 decision, some municipalities, including Dublin, had requested the EBCE
Board reconsider adding a short-term, carbon-free electricity product offered on par with PG&E’s
standard rates that could include nuclear energy (Attachment 5). The municipalities that made the
request desire to achieve GHG emissions reductions goals without causing additional hardship
during the current economic crisis caused by the COVID-19 pandemic.
On October 20, 2020, Staff presented an informational report to the City Council describing the
potential carbon-free alternative that includes nuclear power (Attachment 6). As described in the
report, the nuclear power would have been procured from the Diablo Canyon Nuclear Power
Plant, which will be decommissioned by 2025. Subsequently, EBCE Chief Executive Officer, Nick
Chaset, informed EBCE Board Members via email, prior to the November 18, 2020 Board Meeting,
that EBCE Staff would not bring a Brilliant 100 power portfolio option including nuclear energy to
the Board for consideration. The options brought to the EBCE Board (Attachment 7) included:
129
Page 4 of 5
A. Close all Brilliant 100 accounts, including to existing customers, by February 1, 2021;
B. Set Brilliant 100 cost above PG&E standard rates; or
C. Maintain Brilliant 100 at cost parity with PG&E (with a subsidy), but close Brilliant 100
effective January 1, 2022.
The EBCE Board approved the third option, to maintain Brilliant 100 at cost parity with PG&E for
existing customer accounts. Newly enrolling municipalities (the cities of Pleasanton, Newark, and
Tracy) may also offer Brilliant 100 as an option for their communities, but only through January 1,
2022. Dublin, and other communities, may not offer Brilliant 100 as a new enrollment option to
their customers.
Carbon-Free Power Options for Dublin
As a result of the November 18, 2020 EBCE Board vote, there is only one carbon-free power
portfolio for community-wide accounts in Dublin, Renewable 100. Renewable 100 is offered at a
slight cost premium compared to PG&E’s standard rates. The Renewable 100 premium is about
$0.01 per kilowatt-hour. This premium equates to approximately $3 to $4 more per month for the
average residential energy bill. The additional cost per household is relatively small and is likely
not to have a significant impact on most household budgets. Residents enrolled in the California
Alternate Rates for Energy (CARE) and Family Electric Rate Assistance (FERA) programs and
medical baseline accounts, would remain in the current electric default portfolio, Bright Choice.
The impact of Renewable 100 to commercial and industrial customers could be more significant.
According to EBCE, the increase to the average small commercial customer in the A-1X rate
schedule would be approximately $15 per month more than PG&E’s standard rates. However, the
increase could be thousands of dollars more per month for large commercial and industrial
customers. During the COVID-19 pandemic and resulting economic crisis, the additional cost to
the business community for opting-up to the Renewable 100 power portfolio may be too much to
bear for struggling businesses. At this time, Staff recommends a voluntary approach for non-
residential accounts whereby businesses would be encouraged to opt-up to Renewable 100, while
Bright Choice would remain the default power product. Staff will reevaluate the default electricity
product for commercial and industrial accounts as the community recovers from the pandemic.
Conclusion and Next Steps
The single biggest action the City can take to meet the GHG emissions reduction goals adopted in
the CAP 2030 is to enroll community-wide accounts into a carbon-free electricity product. This is
also the most economically feasible way to achieve GHG emissions reductions equivalent to
approximately 25,000 metric tons of carbon dioxide, which is over half of the total potential GHG
emissions reductions that can be achieved through CAP 2030 measures. Setting the default
electricity product for most residential accounts to Renewable 100 will bring the City one step
closer to achieving the GHG emissions reductions goals. If the default residential energy product is
switched to Renewable 100, residential accounts will retain the option to opt-down to Bright
Choice or opt-out to PG&E. CARE, FERA and medical baseline residents will remain on the Bright
Choice power portfolio and consequently have no impact on their electric bills.
130
Page 5 of 5
Commercial and industrial customers will remain on Bright Choice for at least a year. Over the
course of the year, Staff will work with EBCE to provide targeted outreach to the business
community to encourage voluntary opt-up to Renewable 100. In 2022, the City will reevaluate the
Renewable 100 power portfolio as the default product for commercial and industrial customers,
since to achieve the CAP 2030 GHG emissions reduction goals, it will be necessary to eventually
enroll all community accounts in Dublin to a carbon-free electricity option.
Residential vs. Non-Residential Electricity in Dublin
According to EBCE, there are approximately 26,000 total electrical accounts in Dublin, with
residential accounts representing a significant majority with approximately 23,800 accounts
(about 91.5% of total accounts). However, as far as the amount of electricity used citywide,
residential use is approximately 134,000,000 kilowatt-hours (kWh), which is 53.6% of the
250,000,000 kWh used annually in Dublin. Setting the default residential electricity product to
Renewable 100 will allow the City to get approximately halfway to the goal established by Strategy
1 - Renewable and Carbon-Free Energy in the recently approved CAP 2030.
If the City Council approves the attached resolution requesting that EBCE enroll City residential
accounts in Renewable 100 as the default electric product, the EBCE Board will vote on the
request at an upcoming Board meeting. If the EBCE Board approves the request, there will be a
transition period of at least six months as it procures the appropriate electric resources and
conducts the necessary system adjustments. During this time, noticing to the community about the
new default electricity product will be provided though EBCE and Dublin Staff.
STRATEGIC PLAN INITIATIVE:
None.
NOTICING REQUIREMENTS/PUBLIC OUTREACH:
The City Council Agenda was posted.
ATTACHMENTS:
1) Resolution Requesting East Bay Community Energy Enroll City of Dublin Residential Accounts
in Renewable 100 as the Default Electric Product
2) Resolution 100-20 Adopting the City of Dublin Climate Action Plan 2030 and Beyond
3) Ord 13-16 An Uncodified Ordinance Authorizing the Implementation of a Community Choice
Aggregation Program
4) September 15, 2020 CAP 2030 Staff Report (without attachments)
5) City of Dublin letter to CEO Nick Chaset
6) October 20, 2020 Discussion of Carbon-Free Electricity Options Staff Report (without
attachments)
7) November 18, 2020 EBCE Staff Report on Brilliant 100 Options
131
Attachment 1
RESOLUTION NO. XX – 21
A RESOLUTION OF THE CITY COUNCIL
OF THE CITY OF DUBLIN
REQUESTING EAST BAY COMMUNITY ENERGY ENROLL CITY OF DUBLIN
RESIDENTIAL ACCOUNTS IN RENEWABLE 100 AS THE DEFAULT ELECTRICITY
PRODUCT
WHEREAS, the City of Dublin has been a leader in the fight against climate
change, having adopted its first Climate Action Plan in 2010 with an update in 2013, with
the goal to reduce greenhouse gas emissions to 1990 levels by 2020; and
WHEREAS,on September 15, 2020, the City Council of the City of Dublin adopted
the City of Dublin Climate Action Plan 2030 and Beyond that includes a goal of reducing
greenhouse gas emissions by 40% below 1990 levels by 2030 to align with California
Senate Bill 32 and to put the City on a path to reach carbon neutrality by 2045; and
WHEREAS, Climate Action Plan 2030 and Beyond identifies renewable and
carbon-free electricity as the biggest opportunity to reduce greenhouse gas emissions
within the City of Dublin; and
WHEREAS, the City of Dublin’s electricity provider, East Bay Community Energy
(EBCE), offers a 100% carbon-free and 100% renewable electricity product called
Renewable 100; and
WHEREAS, enrolling residential accounts in the Renewable 100 carbon-free
electricity option is the most cost-effective way to reduce greenhouse gas emissions in
Dublin and would cost the average homeowner approximately four dollars per month
more than current electricity rates; and
WHEREAS, residential accounts on California Alternate Rates for Energy (CARE),
Family Electric Rate Assistance (FERA), and medical baseline accounts will remain on
the current default electric power product, EBCE’s Bright Choice power product, offered
at a slight discount compared to Pacific Gas & Electric’s (PG&E) standard product; and
WHEREAS, the City of Dublin and EBCE will reach out to commercial, industrial,
and institutional customers to encourage opting-up to the Renewable 100 power portfolio
and the City of Dublin intends to re-evaluate Renewable 100 as the default product for
these customers within the next year; and
132
Attachment 1
WHEREAS, residential customers in the City of Dublin would retain the option to
“opt down” to an electric power portfolio with a lower percentage of carbon-free electricity
or “opt out” to PG&E’s electricity; and
WHEREAS, establishing a renewable and carbon-free default electricity product
for residential customers would allow Dublin to showcase its environmental leadership
and demonstrate efforts to create a sustainable community in line with the goals of
Climate Action Plan 2030 and Beyond.
NOW, THEREFORE, BE IT RESOLVED, that the City Council of the City of Dublin
does request that East Bay Community Energy hereby enroll the City of Dublin in the
Renewable 100 electric power portfolio as the default electricity product for all residential
accounts, except for CARE, FERA, and medical baseline accounts which would remain
on the Bright Choice electric power portfolio.
BE IT FURTHER RESOLVED that the City Council of the City of Dublin requests
that the EBCE Board consider Dublin’s Renewable 100 default power portfolio request at
the earliest possible upcoming EBCE Board Meeting.
PASSED, APPROVED AND ADOPTED this 12th day of January 2021 by the
following vote:
AYES:
NOES:
ABSENT:
ABSTAIN:
_____________________________________
Mayor
ATTEST:
_______________________________________
City Clerk
133
Reso No. 100-20, Item 6.1, Adopted 09/15/2020 Page 1 of 2
RESOLUTION NO. 100 - 20
A RESOLUTION OF THE CITY COUNCIL
OF THE CITY OF DUBLIN
ADOPTING THE CITY OF DUBLIN CLIMATE ACTION PLAN 2030 AND BEYOND
WHEREAS, on November 16, 2010 the City Council adopted Resolution 167-10 approving
the City of Dublin Climate Action Plan establishing greenhouse gas (GHG) reduction goals for
2020; and
WHEREAS, under the California Environmental Quality Act (CEQA) a city may prepare a
qualified GHG Reduction Strategy or Climate Action Plan to evaluate a community’s cumulative
impact due to GHG emissions from future planned development; and
WHEREAS, if a project is consistent with an adopted, qualified GHG Reduction Strategy
or Climate Action Plan, the Strategy/Plan can be used as a basis for determining that the project
would have a less than significant impact on a community’s cumulative GHG emissions under
CEQA; and
WHEREAS, on October 15, 2013 the City Council adopted Resolution 177-13 approving
the City of Dublin Climate Action Plan Update to use as a basis for determining that a future
project that was consistent with the adopted Climate Action Plan Update would have a less than
significant impact on Dublin’s cumulative GHG emissions under CEQA through 2020; and
WHEREAS, the City of Dublin is on track to meet the 2020 GHG reduction goals
established by the Plans; and
WHEREAS, in 2016, the California Legislature adopted Senate Bill (SB) 32 to extend the
State’s commitment to GHG emissions reductions by tightening the target to 40% below 1990
levels by 2030; and
WHEREAS, in 2018, Governor Brown adopted Executive Order (EO) B-55-18 setting a
Statewide goal of reaching carbon neutrality by no later than 2045; and
WHEREAS, on December 17, 2019, the City Council provided consensus to align the City’s
future Climate Action Plan with both SB 32 and EO B-55-18 goals and consensus to proceed with
the draft strategies and measures to achieve those goals; and
WHEREAS, the Climate Action Plan 2030 and Beyond establishes the following targets:
1. Reduce GHG emissions to 40% below 1990 levels by 2030
2. Reach carbon neutrality by 2045; and
WHEREAS, the Climate Action Plan 2030 and Beyond contains 22 measures grouped into
the five strategies listed below to reduce GHG emissions by roughly 73,000 metric tons carbon
dioxide equivalent by 2030:
1. 100% Renewable and Carbon-Free Electricity
2. Building Efficiency and Electrification
3. Sustainable Mobility and Land Use
Attachment 2
134
Reso No. 100-20, Item 6.1, Adopted 09/15/2020 Page 2 of 2
4. Material and Waste Management
5. Municipal Leadership; and
WHEREAS, the implementation of the Climate Action Plan 2030 and Beyond will result in
co-benefits in the following areas: economic growth, reduced traffic congestion, improved public
health, healthier ecosystems, robust landscapes, carbon sequestration, enhanced resilience,
equity and inclusion, community leadership and partnerships, and cutting-edge technologies; and
WHEREAS, the City Council held a properly noticed public hearing on the Climate Action
Plan 2030 and Beyond and related Negative Declaration on September 15, 2020; and
WHEREAS, the City Council did review and consider the Negative Declaration and the
Climate Action Plan 2030 and Beyond and all said reports, recommendations, and testimony
herein and set forth prior to making its decision on the Climate Action Plan 2030 and Beyond.
NOW, THEREFORE, BE IT RESOLVED that the City Council of the City of Dublin does
hereby approve and adopt the Climate Action Plan 2030 and Beyond attached hereto as Exhibit
A to the Resolution and authorizes Staff to make any non-substantive grammatical or editing
changes in the final document.
PASSED, APPROVED AND ADOPTED this 15th day of September 2020, by the following
vote:
AYES: Councilmembers Goel, Hernandez, Josey, Kumagai and Mayor Haubert
NOES:
ABSENT:
ABSTAIN:
Mayor
ATTEST:
City Clerk
135
Attachment 3
136
137
138
Page 1 of 6
STAFF REPORT
CITY COUNCIL
DATE: September 15, 2020
TO: Honorable Mayor and City Councilmembers
FROM: Linda Smith, City Manager
SUBJECT: Climate Action Plan 2030 and Beyond
Prepared by: Rebecca Parnes, Environmental Technician
EXECUTIVE SUMMARY:
The City Council will conduct a public hearing on the Initial Study/Negative Declaration
for, and consider adoption of, the Climate Action Plan 2030 and Beyond. The Climate
Action Plan establishes 22 measures to achieve greenhouse gas emissions reductions
equal to 40% below 1990 levels by 2030 and puts the City on the path to achieve
carbon neutrality by 2045.
STAFF RECOMMENDATION:
Conduct the public hearing, deliberate, and adopt the Resolution Adopting an Initial
Study/Negative Declaration for the City of Dublin Climate Action Plan 2030 and Beyond
and adopt the Resolution Adopting the City of Dublin Climate Action Plan 2030 and
Beyond.
FINANCIAL IMPACT:
Adoption of the Climate Action Plan 2030 and Beyond (CAP 2030, Exhibit A to
Attachment 4) does not immediately obligate the City to incur costs on implementation
measures. Staff will return to the City Council for feedback, approval and authorization
to implement CAP 2030 measures, as necessary.
A list of estimated community and City costs, as well as co-benefits of each measure, is
provided in the CAP 2030 Table 6-3: Measure Co-Benefits and Implementation Costs,
which is also provided as Attachment 6. A more detailed description of cost estimates
can be found in the CAP 2030 within each measure description and in Appendix C
Measure Quantification Evidence. Table 8-1, Climate Action Plan Funding Matrix in the
CAP 2030 (Attachment 7) highlights implementation funding options. Financial
incentives and rebates to offset such costs for implementation measures will be
promoted when available.
Attachment 4
139
Page 2 of 6
DESCRIPTION:
On December 17, 2019, the City Council received a report (Attachment 8) on potential
implementation measures and goals for inclusion in an updated Climate Action Plan
CAP). The update to the CAP builds upon the success of the current CAP which was
adopted by the City Council in 2013.
Dublin is on track to meet its 2020 greenhouse gas (GHG) emissions reduction goals
described in the 2013 CAP, despite being one of the fastest growing communities in
California for several years. Many successful CAP initiatives have been implemented
including installation of publicly accessible electric vehicle charging stations at four
municipal locations, implementation of the City’s Bicycle and Pedestrian Master Plan,
participation in the Alameda County Waste Management Authority’s Mandatory
Recycling Ordinance, and participation in the Sustainable States Network Community
Energy Challenge.
The proposed implementation measures for the updated CAP, to achieve GHG
emissions reductions equal to 40% below 1990 levels by 2030, was presented to the
City Council at the December 17, 2019 meeting and are substantially the same as the
measures in the final draft of the Climate Action Plan 2030 and Beyond (CAP 2030).
The CAP 2030 (Attachment 5) includes the following five strategies to achieve GHG
emissions reductions:
Strategy 1 – Renewable and Carbon Free Energy
Strategy 2 – Building Efficiency and Electrification
Strategy 3 – Sustainable Mobility and Land Use
Strategy 4 – Materials and Waste Management
Strategy 5 – Municipal Leadership
Each strategy includes several implementation measures with identified co-benefits,
community costs, and City costs. A summary of these is found in CAP 2030, Table 6-3
Attachment 6).
Though the implementation measures are substantially the same as was presented to
the City Council in December, the measure with the greatest GHG emission reduction
potential relating to 100% clean electricity has been adjusted to reflect a decision by the
East Bay Community Energy (EBCE) Board to freeze new enrollment in Brilliant 100 as
of July 1, 2020. Staff originally proposed that the City Council would consider adopting a
Resolution to opt-up communitywide accounts to either 100% carbon-free (Brilliant 100)
or 100% renewable and carbon-free (Renewable 100) energy with EBCE. The proposed
revised measure, CF-1: Opt-Up to 100% Renewable and Carbon-Free Electricity, is
adjusted to reflect the sole current carbon-free offering at EBCE, Renewable 100.
Two decisions by the EBCE Board led to the elimination of Brilliant 100. On April 22,
2020, the EBCE Board voted to decline to accept an allocation of nuclear energy from
Pacific Gas & Electric. The EBCE Board also voted to establish a power content
140
Page 3 of 6
procurement floor so that renewable energy from wind and solar is now the benchmark
for comparing EBCE’s carbon-free power content to that of PG&E. Prior to this, EBCE
compared all carbon-free power, including non-renewable carbon-free electricity from
large hydropower to PG&E’s non-renewable carbon-free power, which includes both
large hydropower and nuclear energy. These two decisions have made it more difficult
for Brilliant 100 to remain competitive with PG&E.
The EBCE Board will consider options for alternate carbon-free offerings that are on par
with PG&E’s standard service rates at its next Board meeting scheduled for September
16, 2020, including possibly bringing back a nuclear energy option, currently dubbed
Brilliant 100 Select”. EBCE presented this option to staff from Alameda County cities
on August 18, 2020 at the monthly EBCE update that follows the StopWaste Technical
Advisory Group meeting.
If the City Council is interested in a potential Brilliant 100 Select offering, it needs to be
proactively communicated to EBCE by October 2020 at the latest. If the Brilliant 100
Select product is approved by the EBCE Board, the nuclear power source will be the
Diablo Canyon Power Plant which is owned by PG&E. The Diablo Canyon Power Plant
is scheduled to close in 2025, making Brilliant 100 Select an interim option for 100%
carbon-free electricity. There is no proposed change to Renewable 100 cost or power
portfolio.
CAP 2030 Implementation and Monitoring
Implementation of the CAP 2030 and achievement of the GHG emissions reduction
goals requires engagement and action by the Dublin community in addition to City
actions. As such, every measure except for those under “Municipal Leadership”
incorporates some element of community outreach, which will typically be done before a
resolution is proposed to the City Council for consideration and/or before a program is
implemented, and after a program is initiated.
If the CAP 2030 is adopted, Staff plans to develop and implement a public education
plan to promote behavior change relative to the actions identified in the CAP 2030. The
public education plan for the CAP 2030 will be updated and adjusted as needed to
facilitate effective public education on measure implementation requirements, financing
opportunities, and co-benefits of the CAP 2030 implementation.
Staff will conduct annual monitoring of the GHG emissions reduction measures and
report to the City Council every other year beginning in 2022. Table 8-2: GHG
Emissions Reduction Measures Monitoring and Reporting Program in the CAP 2030
lists how, when, and which City department(s) will monitor the ongoing implementation
of the CAP measures. Staff will conduct GHG emissions reductions inventories on a
routine basis but no less than every three years with the next inventory to be complete
for calendar year 2022. If the City has made sufficient progress on GHG emissions
reduction goals by 2025 to reach the 2030 targets, it is anticipated that no additional
CAP measure adjustments would be proposed before the next scheduled CAP update.
If the City is not on track to meet 2030 GHG emissions reduction goals by 2025, a CAP
141
Page 4 of 6
update may be brought to the City Council for consideration to add emissions reduction
measures. A complete CAP update for post-2030 to achieve carbon neutrality by no
later than 2045 will be required, and Staff will begin this effort in 2028.
Conclusion
In addition to GHG emissions reduction benefits, the CAP 2030 highlights co-benefits or
positive effects that implementation of each measure can achieve. These co-benefits
include economic growth, reduced traffic congestion, improved public health, healthier
ecosystems, robust landscapes, carbon sequestration, enhanced resilience, equity and
inclusion, community leadership and partnerships, and cutting-edge technologies. The
anticipated co-benefits support the City’s mission: “The City of Dublin promotes and
supports a high quality of life, ensures a safe and secure environment, fosters new
opportunities, provides equity across all programs, and champions a culture of diversity
and inclusion.” If adopted, the CAP 2030 will be a new milestone in the City’s
commitment to a sustainable, equitable future for the entire community.
After CAP 2030 adoption by the City Council, the measures Staff plans to prioritize for
further City Council action in the coming months are:
CF-1: Opt-Up to 100% Renewable and Carbon-Free Electricity
EE-1. Achieve All-Electric New Building Construction
SM-1. Adopt an Electric Vehicle Charging Station Ordinance
Staff has already begun work on the following measures and intends to continue this
work:
SM-5. Update the City’s Bicycle and Pedestrian Master Plan
SM-6. Continue to Prioritize Transit-Oriented Development
ML-1. 100% Renewable Electricity for Municipal Buildings and Operations
completed)
ML-3. Electrify Municipal Vehicle Fleet and Equipment
ML-6. Enhance Municipal Carbon Sequestration Opportunities
ML-7. Implement the Green Stormwater Infrastructure Plan
Environmental Review
The overall purpose of the CAP 2030 is to reduce greenhouse gas (GHG) emissions
and the impacts that GHG emissions will have on the community and the global
environment, and therefore, it is a project designed to benefit the environment. As a
result, it may not constitute a “project” under the California Environmental Quality Act
CEQA), or it may qualify for an exemption under CEQA. However, as with a proposal
relating to development, implementation of the CAP 2030 could potentially result in
adverse impacts on the physical environment. Therefore, an Initial Study was prepared
by the City pursuant to CEQA to evaluate whether there are any potentially adverse
environmental impacts of implementing the CAP 2030. No adverse impacts were
identified, and a Negative Declaration was prepared.
142
Page 5 of 6
The Initial Study/Negative Declaration was circulated for public review from July 24,
2020 to August 24, 2020 (Exhibit A to Attachment 1). During the public review period,
the City received four comment letters and one comment email (Exhibit B to Attachment
1) from the following:
California Department of Conservation Geologic Energy Management Division
dated August 3, 2020
Romal Mitr (email) dated August 12, 2020
Western Propane Gas Association dated August 19, 2020
Tri-Valley Air Quality Community Alliance dated August 21, 2020
Bay Area Air Quality Management District (BAAQMD) dated August 24, 2020
None of the comment letters raised any concerns resulting in adjustments to the CEQA
document or the CAP 2030.
CEQA allows cities to develop Climate Action Plans or GHG emissions reductions plans
to provide programmatic analysis of cumulative impacts of GHG emissions for future
projects in the City. CEQA Guidelines Section 15183.5 authorizes the use of these
plans for the analysis of the cumulative impacts of projects. The BAAQMD CEQA
Guidelines and Significance Thresholds for GHG emissions also authorize the use of
these plans for CEQA review of future projects.
The CAP 2030 serves as the City’s qualified GHG Reduction Plan and programmatic
tiering document for the purposes of CEQA for analysis of impacts of GHG emissions
and climate change. The City has determined that the reduction target in the Plan will
reduce the impact from activities in the Plan to a less than significant level under CEQA
i.e., the project will not make a cumulatively considerable contribution to a significant
cumulative impact). Therefore, the CAP 2030 may be used for the cumulative impact
analysis for future projects and development in the City covered by the Plan. As such, it
satisfies CEQA review requirements for all applicable projects within the City. If a
proposed project is consistent with the applicable GHG emissions reduction measures
identified in the CAP 2030, the project would be considered to have a less than
significant impact (i.e., the project will not make a cumulatively considerable contribution
to a significant cumulative impact) due to GHG emissions and climate change
consistent with Public Resources Code 21083.3, CEQA Guidelines Sections 15183.5,
15064, and 15130, and BAAQMD adopted CEQA Guidelines and GHG Significance
Thresholds.
STRATEGIC PLAN INITIATIVE:
None.
143
Page 6 of 6
NOTICING REQUIREMENTS/PUBLIC OUTREACH:
A Public Notice was mailed to interested parties, including surrounding jurisdictions and
various state and regional agencies. Additionally, the Public Notice was published in the
East Bay Times and posted in the Civic Center kiosk. A news flash was also released.
ATTACHMENTS:
1. Resolution Adopting an Initial Study/Negative Declaration for the City of Dublin
Climate Action Plan 2030 and Beyond
2. Exhibit A to the Resolution - Initial Study Negative Declaration
3. Exhibit B to the Resolution - Comments Received on the Negative Declaration
4. Resolution Adopting the City of Dublin Climate Action Plan 2030 and Beyond
5. Exhibit A to the Resolution - City of Dublin Climate Action Plan 2030 and Beyond
6. CAP 2030 Table 6-3: Measure Co-Benefits and Implementation Costs
7. CAP 2030 Table 8-1: Climate Action Plan Funding Matrix
8. 12-17-2019 Item 7.1 - Report on Status of Climate Action Plan Update (Report Only -
No Attachments)
144
November 2, 2020
Nick Chaset, Chief Executive Officer
East Bay Community Energy
1999 Harrison Street, Suite 800
Oakland, CA 94612
Via email to: nchaset@ebce.org
Regarding: Power Content Options for a 100% Carbon-Free Product
Dear Mr. Chaset:
The City of Dublin (City) is proud to be a member of EBCE and to partner on
exciting EBCE spearheaded programs such as the municipal fleet
electrification analysis and solar plus battery storage resiliency efforts. As the
City begins implementing its newly updated Climate Action Plan (CAP), the
partnership and programs will be even more important.
The keystone action in the updated CAP is community wide opt-up to a
carbon-free power portfolio. The City understands that there are no new
enrollments allowed into the existing Brilliant 100 power portfolio which had
been the carbon-free option available at cost parity to Pacific Gas & Electric’s
(PG&E) standard rates. Now, the only carbon-free product is the Renewable
100 power portfolio which is offered at a cost premium. Especially during
these trying economic times, the City is interested in a product that could
include nuclear power from the Diablo Canyon Power Plant if it would be a
100% carbon-free product offered at rate parity with PG&E. Having this
carbon-free power portfolio alternative available, which would create no new
nuclear waste, would be a helpful bridge as cities try to achieve greenhouse
gas emissions reductions goals while not burdening the community with
increased electricity costs.
Thank you for your consideration. If you have any questions, please contact
Shannan Young at shannan.young@dublin.ca.gov or at 925-833-6616.
Sincerely,
Linda Smith
City Manager
CC: Mayor and City Council
Andrew Russell, Public Works Director
Shannan Young, Environmental & Sustainability Division Manager
Attachment 5
145
Page 1 of 3
STAFF REPORT
CITY COUNCIL
DATE: October 20, 2020
TO: Honorable Mayor and City Councilmembers
FROM: Linda Smith, City Manager
SUBJECT: Discussion of Carbon-Free Electricity Options
Prepared by: Shannan Young, Environmental Coordinator
EXECUTIVE SUMMARY:
The City Council will consider the two potential carbon-free electricity options for
community wide electricity accounts through the City of Dublin’s electricity provider,
East Bay Community Energy.
STAFF RECOMMENDATION:
Receive the report and provide direction on the community wide East Bay Community
Energy carbon-free electricity default product.
FINANCIAL IMPACT:
There is no impact to the General Fund but a discussion regarding the cost impacts of
the carbon-free options is included below. Municipal electricity accounts are currently
supplied with the Renewable 100 power portfolio.
DESCRIPTION:
At its September 15, 2020 meeting, the City Council adopted Resolution 100-20
Attachment 1) approving the Climate Action Plan 2030 and Beyond (CAP 2030). The
CAP 2030 includes 22 measures upon which the City must take action to meet the GHG
emissions reduction goals. Setting community wide electricity accounts to carbon-free
power provides the biggest GHG emissions reduction benefit of all the measures in
CAP 2030 and is critical to achieving GHG emissions reduction goals.
East Bay Community Energy (EBCE) currently provides three power portfolios:
1. Bright Choice provides 65% carbon-free electricity;
2. Brilliant 100 provides 100% carbon-free electricity; and
3. Renewable 100 provides 100% carbon-free and renewable electricity.
As of July 1, 2020, EBCE discontinued accepting new accounts into Brilliant 100 and is
eliminating the portfolio since it is no longer cost-competitive with Pacific Gas &
Electric’s (PG&E) standard rates. All existing accounts will be shifted out of Brilliant 100
Attachment 6
146
Page 2 of 3
in early 2021.
A potential carbon-free alternative to the Brilliant 100 product (on par with PG&E’s
standard rates) is called Brilliant 100 Select, which could include nuclear power
provided by the Diablo Canyon Power Plant. EBCE has requested, but not yet received,
approval for an allocation of nuclear energy from the California Public Utilities
Commission (CPUC). A response from the CPUC is expected by October 31, 2020.
If the City Council is interested in pursuing the potential Brilliant 100 Select option, or
the Renewable 100 power portfolio, the City would need to provide that feedback to
EBCE by November 2, 2020.
In terms of costs, Renewable 100 is offered at $0.01 per kilowatt-hour more than
PG&E’s standard rate (a 10% premium) and equates to approximately $3-4 more per
month to the average residential energy bill. The increase to monthly commercial or
industrial accounts would vary depending on the amount of electricity consumed by the
business. If a carbon-free, non-renewable power portfolio is provided by EBCE
potential Brilliant 100 Select), it is anticipated that the offering will be provided at cost
parity to PG&E’s standard rates.
The EBCE Board will vote on potential alternatives to Brilliant 100 at its November 18,
2020 meeting. At its December 16, 2020, EBCE Board Members will vote on approval
of city requests for their default power portfolios. When the EBCE Board approves the
requested account defaults, those accounts will be transitioned six months later to the
new power portfolio due to the need for community outreach and to allow EBCE time to
adjust the accounts. Account holders will still retain the option to opt-down to Bright
Choice, opt-up to Renewable 100 or opt-out of EBCE and receive electricity from
PG&E.
Summary
Two options to achieve the GHG emissions reductions described in CAP 2030 Strategy
1, 100% Renewable and Carbon-Free Electricity are:
1. Communicate to the EBCE Board the desire to set community wide
accounts to the Renewable 100 power portfolio which is both 100%
renewable and carbon-free.
2. Communicate to the EBCE Board the desire to participate in a potential
Brilliant 100 Select offering for community wide accounts, which is 100%
carbon-free, and includes non-renewable electricity from nuclear and
hydropower.
Both options would achieve the CAP 2030 goal to reduce GHG emissions in Dublin by
25,525 metric tons of carbon dioxide. The Brilliant 100 Select option may provide a cost-
neutral option, relative to PG&E's standard rates, however the Brilliant 100 Select option
will only be available until the Diablo Canyon Power Plant closes, which will occur by
2025.
147
Page 3 of 3
STRATEGIC PLAN INITIATIVE:
None.
NOTICING REQUIREMENTS/PUBLIC OUTREACH:
None.
ATTACHMENTS:
1. Resolution 100-20 Adopting the City of Dublin Climate Action Plan 2030 and Beyond
2. September 15, 2020 CAP 2030 Staff Report (without attachments)
148
Staff Report Item 13
Staff Report Item 13
TO: East Bay Community Energy Board of Directors
FROM: Nick Chaset, Chief Executive Officer
SUBJECT: Brilliant 100 Options (Action Item)
DATE: November 18, 2020
________________________________________________________________________
Recommendation
Decide to change the Brilliant 100 consumer electricity product in one of following way:
A)Close Brilliant 100 effective February 1, 2021. All current Brilliant 100 customers would
be defaulted onto Bright Choice unless the city council/Board of Supervisors have
affirmatively voted to default these customers onto another product, or
B)Set Brilliant 100 cost above PG&E – with specific premium brought to Board of Directors
in December 2020. All current Brilliant 100 customers would see these new costs
effective February 1, 2021. Under this option Brilliant 100 would continue to be available
to all EBCE customers, or
C)Maintain Brilliant 100 cost at parity with PG&E for 2021, but close Brilliant 100 effective
January 1, 2022.
Background and Discussion
At its meeting on June 17, 2020, EBCE’s Board voted to close Brilliant 100 to new accounts
beginning July 1, 2020, as one of several budget-related actions. Staff had determined
current Brilliant 100 rates no longer cover the cost of service and would need time to develop
alternative courses of action for the Board to consider.
Over the last number of months, EBCE staff have worked to develop three options for how to
proceed with Brilliant 100 for 2021 and beyond. The three options are laid out in the attached
presentation.
Fiscal Impact
Option C carries a projected fiscal impact of at least $1.85m.
Attachments
A.Presentation on New Carbon-free Electricity Product and Brilliant 100 Options
Attachment 7
149
Brilliant 100 Options in 2021
Nick Chaset
November 18, 2020
150
Overview of Agenda Item
Which of the following changes to Brilliant 100 for 2021 should EBCE make?
A)Close Brilliant 100 effective February 1, 2021. All current Brilliant 100 customers would be defaulted onto Bright Choice unless the city council/Board of Supervisors have affirmatively voted to default these customers onto another product, or
B)Set Brilliant 100 cost above PG&E –with specific premium brought to Board of Directors in December 2020. All current Brilliant 100 customers would see these new costs effective February 1, 2021. Under this option Brilliant 100 would continue to be available to all EBCE customers, or
C)Maintain Brilliant 100 cost at parity with PG&E for 2021, but end B100 effective January 1, 2022
2151
2021 Brilliant 100 Policy
Option A
•Close Brilliant 100 effective February 1, 2021.
•All current Brilliant 100 customers would be defaulted onto
Bright Choice unless the city council/Board of Supervisors
have affirmatively voted to default these customers onto
another product.
•No Fiscal Impact
3152
2021 Brilliant 100 Policy
Option B
•Set Brilliant 100 cost above PG&E –with specific premium
brought to Board of Directors in December 2022.
•All current Brilliant 100 customers would see these new
costs effective February 1, 2021.
•Under this option Brilliant 100 would continue to be
available to all EBCE customers.
•No Fiscal Impact
4153
2021 Brilliant 100 Policy
Option C
•Maintain Brilliant 100 cost at parity with PG&E for 2021 but
Brilliant 100 to all customers effective Jan 1, 2022
•Exception of voluntary opt-ins from Tracy, Pleasanton, and
Newark
•Fiscal Impact Detailed
5154
2021 Brilliant 100 Policy
Option C Fiscal Impact Assessment: $1.85m to serve existing Brilliant 100 in 2021
•Brilliant 100 costs estimated to cost approx. $2.70/MWh more to procure than Bright Choice:
–Brilliant 100: $14.5 x 36% (RE) + $5.0 * 54%(Lhyd) + $0 * 10%(PG&E Allocation Share) = $7.92 Adder
–Bright Choice: $12.7 x 41% (RE) + $0 *10% (PG&E Allocation Share) = $5.21 Adder
–With energy and overhead costs, Brilliant 100 is 4.6% more expensive than Bright Choice, while only priced at
1% more than Bright Choice. This equates to 3.6% higher Brilliant 100 cost not recovered in rates, which
means that 78% of the Brilliant 100 premium should be treated as incremental costs.
•Brilliant 100 projected to create an incremental cost in 2021 of $1.85m to serve current Brilliant
100 customers
–Brilliant 100 2021 load projection: 875,000 MWh
–$2.71 * 78% * 875,000MWh = $1.85m
•Brilliant 100 incremental costs scale up with each additional MWh, so if new customers or
communities join Brilliant 100, costs to EBCE rise. For example, if Dublin/Pleasanton and Berkeley
were to opt all accounts onto Brilliant 100 for 2021, that would result in an unfunded increase in
procurement costs of $1,895,400
–Brilliant 100 Cost Premium ($2.70) * Unfunded share of Brilliant 100 costs (78%) * Approx
Dublin/Berkeley/Pleasanton Load (900,000 MWh) = $1.90m
6155
East Bay Community
Energy Renewable and
Carbon-Free Electricity
January 12, 2021
Presentation Overview
•Brief Climate Action Plan 2030 and Beyond
overview, including greenhouse gas (GHG)
emissions reductions goals.
•Discuss the electric power portfolios offered by
East Bay Community Energy (EBCE).
•Provide an overview of the proposed approach
to meeting Measure CF-1 in CAP 2030.
Climate Action Plan
•City Council adopted Climate
Action Plan 2030 and
Beyond (CAP 2030) on
September 15, 2020.
•CAP 2030 includes actions
to:
–Reduce greenhouse gas
emissions by 40%below
1990 levels by 2030, and
–Put the City on the path
to reach carbon neutrality
by 2045.
CAP 2030 Goals
The five strategies are:
100% Renewable
and Carbon-Free
Electricity
Building
Efficiency and
Electrification
Sustainable
Mobility and
Land Use
Materials and
Waste
Management
Municipal
Leadership
Measures
Included in CAP 2030 are 22 measures under
five strategies to reach the City’s climate goals.
GHG Emissions Reductions
EBCE Power Portfolios
•East Bay Community Energy offers three
electric power portfolios:
–Bright Choice,which is offered at a slight discount
to Pacific Gas &Electric’s (PG &E) standard rate
but is not 100% carbon-free.
–Brilliant 100,which is carbon-free and had been
offered at rates on par with PG&E.
–Renewable 100,which is both 100%carbon-free and
renewable and is offered at a slight premium to
PG&E’s rates.
Renewable 100
•Renewable 100 is the only portfolio offered that
fulfills Measure CF-1 to opt-up to 100% carbon-
free and renewable electricity.
•The premium is approximately $0.01 per kilowatt-
hour.
–$3 to $4 per month for the average residential bill.
–$15 per month for the average small commercial
customer.
–Impact on large commercial customers much greater.
Measure CF-1 Proposal
•Opt-up residential customers as soon as feasible.
–California Alternate Rates for Energy, Family
Electric Rate Assistance program, and medical
baseline residents would remain on the Bright
Choice power portfolio.
•Commercial and industrial customers remain on
Bright Choice for at least a year.
–Encourage voluntary opt-ups.
Electric Power Accounts
Number of
Accounts
Associated Electricity
(kilowatt-hours)
Associated 2025
GHG Emissions
Residential 23,800 134,000,000 (53.6%)13,681 MT CO2e
Non-Residential 2,200 116,000,000 (46.4%)11,844 MT CO2e
Totals 26,000 250,000,000 25,525 MT CO2e
Next Steps
•If City Council approves the Resolution, EBCE
will consider the City’s request at an upcoming
EBCE Board meeting.
•If the EBCE Board approves the request,there
will be at least a six-month transition period.
•During the transition period, robust community
outreach regarding the opt-up will occur.
Staff Recommendation
Adopt the Resolution Requesting East Bay
Community Energy Enroll City of Dublin
Residential Accounts in Renewable 100 as the
Default Electricity Product.