6.5
|
Reasonable Return
With regard to reasonable return it is clarified that the same has to be
calculated on the basis of the capital base arrived at in accordance with the provision of
Sixth Schedule to the Supply Act, 1948.
|
6.6
|
Treatment of Working Capital
|
6.6.1
|
The Commission believes that the companies must commit themselves to a
higher level of efficiency, bring loan to meet the working capital needs so that the
transmission utility and the generators are not starved of funds. There is a gap between
the revenue billed and the revenue realised due to inefficiency on the part of the
licensees for failing to take appropriate and expeditious steps like disconnection in time
or initiation of civil suits to realise the arrear dues. Domestic, irrigation and
agricultural consumers are not required to pay any DPS for delay in payment, whereas small
and medium industries and other categories only pay one time DPS. This is a disincentive
for revenue collection especially when the licensees are not capable of realising the dues
after the due date of payment is over. The Commission also may at appropriate time
consider for levy of DPS for those consumers who are at present not covered under DPS for
delay in payment.
|
6.6.2
|
The distribution companies have failed to bring required working capital
to ensure cash balance in the system to meet all expenses. The licensee can get rebate on
prompt payment from GRIDCO @2% per month, which will reduce its power purchase liability.
In a sense if the licensee arranges working capital from the commercial and financial
institutions they can save not only the DPS but will earn a rebate from the GRIDCO that
will compensate the interest on working capital and may accrue some revenue in the form of
rebate.
|
6.7
|
T&D loss
|
6.7.1
|
The next issue is determination of the total cost of distribution and
retail supply. The supply business requires purchase of power by the DISTCOs from the
transmission company (GRIDCO) for supply to consumers. The energy received at grid
sub-stations at 33 kV by the DISTCOs and supplied to the end-use consumers at different
voltage levels entails both technical and commercial losses. The Commission hitherto have
been following the concept of determination of power procurement after applying a
normative loss level to the total power proposed to be sold by the licensee, irrespective
of the quantum of actual power purchase by DISTCOs from GRIDCO. This quantum of power
purchase is metered in each grid sub-station and is reflected in the various data recorded
in the energy billing centre (EBC) of GRIDCO and also in the BST bill of GRIDCO raised on
DISTCOs.
|
6.7.2
|
The World Bank Staff Appraisal Report of April 1996 projected different
levels of transmission and distribution loss for the year 1996-97 to the FY 2002-03 based
on the studies made by a group of reputed consultants. The Commission while approving the
tariff application in the year 1997-98 took cognizance of these projected loss figures.
While adopting a loss level of 35% for the year 1997-98, the Commission went by the
estimate of 34.8% made in the SAR as against the claim of 47% made by GRIDCO for that
year. The projections made in the SAR, the level of T&D loss as established by the
audit report of GRIDCO gives a wide disparity in the projections and actual performance as
can be revealed from the table below. Table : 6
As per SAR of 1996
|
FY 97 |
FY 98 |
FY 99 |
FY 00 |
FY 01 |
FY 02 |
FY 03 |
Energy available for sale (MU) |
9785 |
10902 |
12726 |
13902 |
14809 |
15560 |
16342 |
T&D losses (%) |
39.5 |
34.8 |
29.2 |
24.3 |
22.7 |
21.7 |
20.6 |
Electricity sale (MU) |
5924 |
7103 |
9004 |
10528 |
11442 |
12187 |
12976 |
Table : 7
Actual performance
|
FY 97 |
FY 98 |
FY 99 |
FY 00 |
Energy available (MU) |
9651 Audited |
10324 Audited |
10571 BST order 2000-01 |
10131 BST order 2000-01 |
T&D losses (%) |
49.47 |
49.24 |
48.60 |
45.36 |
Electricity sale (MU) |
4876 |
5240 |
5433 RST filing 00-01 |
5536 Tax audit RST filing of
CESCO 00-01 |
|
6.7.3
|
The members the Commission Advisory Committee specifically discussed the
issues of high percentage of T&D loss, Distribution loss, poor performance of
Distcos,
subsidy, cross-subsidy. Majority of the members suggested that the recommendation of the
Kanungo committee should be kept in view while finalising the tariff and revenue
requirement of DISTCOs as neither the Government of Orissa filed any objection nor depute
any representative to appear in the hearing. Members also advocated in favour of uniform
retail tariff for the whole State. Some of the Members raised issues specific to the
interest groups they represent. But there was near unanimity with regard to the certain
issues. It was felt that T&D loss was still high and while fixing the target level of
loss, the Commission should not go back to the level already set. Rather the target level
of loss be set at still lower. It was also felt that installation of meters and consumer
services were far from satisfactory. Most of the members opined that there should be
thorough scrutiny on the input cost of the licensees, while Some suggested that
depreciation should not be charged on the assets those have already outlived. The Chief
Electrical Engineer, S.E. Railways raised certain vital issues to be tackled while passing
this tariff order to give benefit to the Railways.
|
6.7.4
|
The objectors in general were of the opinion that the adoption of a
uniform loss figure for the four distribution companies with a different load mix was
hiding the inefficiency of the companies with higher components of HT and EHT load. EHT
component of load makes a big difference to the overall loss figure for the company as
loss in EHT category is practically negligible. The overage loss as a percentage of the
total power procurement from the GRIDCO by DISTCOs as well as the direct sale figures at
EHT as projected by the four DISTCOs are given in the table for the FY 2001-02.(RR02-03
filing of DISTCOS). Table : 8
|
NESCO |
WESCO |
SOUTHCO |
CESCO |
TOTAL |
Input for the DISTCOs (MU) |
2208.4 |
2920.2 |
1541.3 |
4024.6 |
10694.45 |
Sale at EHT (MU) |
243.72 |
583.5 |
122.27 |
266.02 |
1215.51 |
Proposed Distribution Loss (%) |
47.4 |
45.1 |
41 |
45 |
45
|
|
6.7.5
|
Some of the objectors have pointed out that the distribution loss is being
computed after taking into account even the zero loss EHT energy input into the system to
show a reduced level of loss. The total power sale to a DISTCO is arrived at the Energy
Billing Centre of GRIDCO by integrating the EHT drawal at 132/220 kV and bulk power drawal
at 33 kV in any grid sub-station. Therefore, sale at EHT can be taken out from the total
power purchase figures to determine the energy input to various DISTCOs for supply to HT
and LT consumers. If the EHT sale projected by the four DISTCOs are taken out from the
total sale projected by these companies then the distribution loss as the percentage loss
of HT and LT input works out to 53.3% for NESCO, 56.3% for WESCO, 44.1% for SOUTHCO and
48.2% for CESCO with an overall loss figure of 50.6% for the State as a whole under HT
& LT category.
|
6.7.6
|
As we will be determining the energy input into the DISTCOs system based
on the billing figures of GRIDCO for the FY 2001-02, it will be appropriate to determine
the loss as a percentage of HT and LT input after deducting the direct sale at EHT to show
a comparative picture of performance of the four DISTCOs and also plan for bringing down
the distribution loss at the HT & LT level, which will ultimately bring down the
overall distribution loss in a DISTCO.
|
6.7.7
|
Identical comparison can be done for the FY 2002-03 by determining
distribution loss as a percentage of HT and LT input.
|
6.7.8
|
The Commission in the tariff order dtd.19.01.2001 had observed that the
task of fixing a level of loss in the absence of verifiable and reliable data has led it
to apply a value judgement that should be fair, reasonable and financially sound. Any
arbitrariness on the part of the Commission will either affect the financial viability of
the licensee or sustain undue burden on the consumers.
|
6.7.9
|
The Commission had also observed in the last tariff order that the high
T&D loss is not an isolated phenomena in Orissa. Higher level of loss figures are
being gradually disclosed in all most all the reforming states in the country. The
Commission was also of the view that the benchmark of T&D loss at 35% was as a measure
of performance perceived to be unrealistic and unacceptable by GRIDCO and the
DISTCOs. The
World Bank on whose SAR Commission relied in fixing an overall loss level of 35% in FY
1997-98 subsequently came out in its midterm review report dtd.31.10.1998 that it
underestimated the actual loss level. The World Bank states Consultation with the
Commission on the issue of recognizing the actual system loss levels and pass through of
prior years financial losses, given that we all so severely underestimated
GRIDCOs system losses in 1996 and set unachievable performance targets.
|
6.7.10
|
Therefore DISTCOs all along complained about to unrealistic loss level of
35% adopted by the Commission while adopting a loss level of 34% for the FY 2000-01
including the losses at EHT transmission system of 3.7%, the Commission had directed the
DISTCOs during the course of the hearing to carry out pilot studies within a period of six
months from April, 2001 to September, 2001 and submit the same to the Commission for its
appraisal while determining the target level of loss reduction from year to year. The
Commission is constrained to place on record the utter failure of licensees to address
this most important and crucial issue which was being raked up by them time and again.
DISTCOs have not initiated any concerned and vigorous effort to fix meters in feeders, LV
side of transformer and consumers served by the feeder to ascertain the actual level of
loss.
|
6.7.11
|
Due to insistence by Commission the DISTCOs started determination of loss
on a selected feeder. It was a much delayed exercise by all the licensees. Also
Commissions effort to engage outside consultants to oversee the pilot loss study
could not take off due to the financial problem of the licensees. Only WESCO initiated a
study by engaging an outside agency.
|
6.7.12
|
However, the Commission with the assistance of the Department for
International Development (DFID) has conducted pilot study in one 11 kV feeder for WESCO,
NESCO and SOUTHCO and two feeders of CESCO by appointing its own consultants. The report
of this pilot study demonstrates that there is ample scope and opportunity for quick
reduction of loss by the DISTCOs.
|
6.7.13
|
The distribution companies while submitting the business plan for a period
of 5 years to the Committee of independent expert in the month of October, 2001 have
supplied the following distribution loss figures for the year 2001-02 to 2004-05:- Table-9
Figure of distribution loss projected by DISTCOs before
the Committee of Independent Experts
Name of the company |
FY 01-02 |
FY 02-03 |
FY 03-04 |
FY 04-05 |
CESCO |
40.94% |
39.35% |
37.57% |
36.08% |
NESCO |
46.98% |
40.77% |
36.85% |
34.12% |
WESCO |
41.08% |
39% |
36.93% |
34.89% |
SOUTHCO |
40.89% |
39.21% |
36.01% |
33.14% |
ALL ORISSA |
42.21% |
39.56% |
37.00% |
34.87% |
|
6.7.14
|
This, however, excludes the transmission loss of 4.65%, projected by
GRIDCO from 2001-02 to 2005-06.
|
6.7.15
|
The committee, however, accepted a distribution level loss of 42.21% for
the base year of FY 2001-02 after hearing the DISTCOs and suggested reduction of
distribution loss by 5% each year from FY 2002-03 to reach a level of 22.21% in the year
2005-06. Similarly, the committee had also approved a reduction of transmission loss at a
rate 0.3% each year from FY 2002-03 till the losses reach 3.7% by 2005-06. This is
projected in the table below. Table : 10
Loss figures approved by the Committee of Independent Experts
|
FY 01-02 |
FY 02-03 |
FY 03-04 |
FY 04-05 |
FY 05-06 |
Distribution loss |
42.21% |
37.21% |
32.21% |
27.21% |
22.21% |
Transmission loss |
4.7% |
4.4% |
4.1% |
3.8% |
3.7% |
|
6.7.16
|
As explained in para 6.7.6, computation of loss after deducting the
zero loss EHT energy from year to year is given below. Table : 11
Computation of loss as a percentage of HT & LT input based on the Business Plan
submitted by DISTCOs to the Committee of Independent Experts
|
FY 01-02 |
FY 02-03 |
FY 03-04 |
FY 04-05 |
FY 05-06 |
Loss as a %age HT & LT input |
49.67% |
45.01% |
39.9% |
34.25% |
28.39% |
|
6.7.17
|
The committee of independent experts appointed by the Government of Orissa
to review the power sector reform in their report have suggested reduction of distribution
loss at the rate of 5% per annum. The pilot study conducted by the Commission brings out
very clearly that the scope of reduction of distribution loss is enormous provided the
companies take effective steps such as technical, financial and managerial decisions for
reduction of distribution loss. Any number of alibis expressing inability for not reducing
the distribution loss are not acceptable to the Commission. Besides higher level of loss
found out on the basis of pilot study is purely indicative as the number of feeders
selected were very few compared to the existing number of feeders. Pilot study results
cannot be taken as basis of loss levels existing in different DISTCOs, as study on one
feeder out of hundreds of feeders in the company with varied load mix, concentration of
loads, length and size of feeders cannot be a representative one. But this study brought
to the fore very interesting facts like direct tapping of 11 kV feeder by industrial
consumers, by-passing of meter CTs. It so happened in some areas where pilot study was
being taken up, the consumers locked their houses and went away forbidding the utility
staff and Commission consultant to check the status of the meter. Pole scheduling in the
study area revealed unauthorized abstraction of energy by the illegal consumers, consuming
energy far more in excess of what was shown in the consumer ledger of the DISTCOs.
|
6.7.18
|
In the 2001-02 tariff filing, WESCO had reported a loss level of 38% for
that year. But while submitting the revenue requirement application FY 2002-03, WESCO have
reported distribution loss for the year 2001-02 as 45%. This kind of irresponsible
reporting for a particular year has been made within an interval of 3 months. It implies
that the DISTCOs have demonstrated a very casual attitude in projecting the figure to the
Commission for the purpose of determination of tariff or revenue requirement. The case of
other companies are also not different.
|
6.7.19
|
The Commission accepts the distribution loss figure as approved by the
Kanungo Committee as 42.21% for the FY 2001-02 which is treated as the base year. This
figure of 42.21% represents the overall average distribution loss for the entire State but
varies across the four distribution companies. The variation in loss figures across the
DISTCOs are exhibited in Table-12. The Commission also adopts the recommendation of the
committee for reduction of distribution loss at least at the rate of 5% per annum from
2001-02 to 2002-03. The Commission therefore directs that for the purpose of determination
tariff and the revenue requirement the rate of loss reduction will be calculated at the
rate of 5% (overall average for the state) starting from the FY 2001-02 and 2002-03.
Accordingly, the following loss figures are approved for the aforesaid purpose for the
year 2001-02 and 2002-03. While formulating the multi-year tariff proposed to be effective
from 01.04.2003, this aspect of loss reduction along with collection efficiency etc will
be decided for subsequent years. Table : 12
PURCHASE & SALES BY
DISTCOs BASED ON 10 MONTHS ACTUAL |
|
FY 2001-02 |
Expected/Projected
for FY 2002-03 |
|
Purchase (MU) |
Loss(%) |
Sale(MU) |
Purchase (MU) |
Loss(%) |
Sale(MU) |
CESCO
|
4167.77 |
40.94% |
2461.485 |
4321.00 |
35.94 |
2768.03 |
NESCO
|
2253.62 |
46.98% |
1194.8693 |
2291.20 |
41.98 |
1329.36 |
WESCO
|
2980.64 |
41.08% |
1756.1931 |
3066.54 |
36.08 |
1960.13 |
SOUTHCO
|
1525.07 |
40.89% |
901.46888 |
1682.39 |
35.89 |
1078.58 |
TOTAL
|
10927.10 |
42.21% |
6314.02 |
11361.13 |
37.21 |
7136.10 |
|
6.7.20
|
Commission wants to make it expressly clear that there is no shortcut way
unless a systematic drive is made to reduce the distribution loss. This should necessarily
include metering of 11 kV feeders, metering at LV side of transformers, pole scheduling,
verification if deemed necessary of consumer connected loads, rectification or replacement
of consumer meters so that each feeder is converted to a Profit Centre as has been very
aptly stated by the Ministry of Power, GoI, which is allotting large sum of funds to meet
cost of metering etc. to achieve the goal in a time bound manner, which will be available
through State Govts. to utilities and SEBs under APDRP programme.
|
6.7.21
|
There are 846 Nos. of 33/11 kV feeders in the State under the four
DISTCOs. There are about 900 field sections in the DISTCOs. This means that there may be 1
to 2 Nos. of 11 kV feeders under each section and 1 No. of 33 kV feeder and 9 Nos. of
33/11 kV transformers and at least 30 Nos. of distribution transformers in each feeder.
Once members and other supporting staff including MRT personnel are made available, it
would be possible to complete within one year for monitoring of all feeders along with
complete pole scheduling leading to identification and regularisation of unauthorised
connection. Progressive achievements will bring substantial in reduction of loss in
feeders.
|
6.7.22
|
Commission, among other things shall attach highest priority on these
aspects and would expect the licensee to aggressively start taking up related activities.
Commission would, on its part approach DFID to provide support to temporarily hire
services of technical personnel by the Commission to oversee the progress made in this
regard by the licensee on a day to day basis.
|
6.7.23
|
Although the Commission in deference to the spirit of OER Act, 1995 would
have liked for a hands-off regulation while dealing with DISTCOs. But it finds to its
dismay that utilities have taken advantage of this liberal gesture and have done precious
little to address this single major factor of loss reduction which constitutes a menace to
the viability of the power sector. Therefore, Commission would closely associate itself in
monitoring the activities of DISTCOs in this regard.
|
6.7.24
|
As indicated in para 6.7.16 the loss as a percentage of HT & LT input
for the year 2005-06 approved by the Kanungo Committee should be targeted at 28.39% to be
attained by all the DISTCOs.
|