Is your supply exempt – Any supply from renewable sources is automatically exempt from CCL, as is domestic or charitable non-business use. If your organisation is defined as an energy intensive user or a horticulture user, your supply may qualify for partial exemption. The Climate Change Levy (CCL) exemption schemes for renewables and combined heat and power (CHP) are closed.
Levy exemption certificates (LECs), which were issued under these schemes, were only issued to electricity generated from CHP generators before 1 April 2013 and renewables generators before 1 August 2015. Transitional arrangements were in place until 1 April 2018 for a supplier to use these LECs to evidence the exemption.
Ofgem was responsible for administering the CCL exemptions for renewables and CHP in Great Britain on behalf of HM Revenue and Customs (HMRC) through a certification scheme. Under this scheme Ofgem issued LECs to eligible generators which were ultimately passed through to suppliers as the evidence needed to demonstrate to HMRC that electricity supplied to UK business customers is CCL exempt. It was then the final recipient of electricity supplied that could benefit from the tax exemption.
More information on the Climate Change Levy can be found on the HMRC website
As the UK pursues a goal of “Net Zero” greenhouse gas emissions by 2050, the UK’s Oil and Gas Authority (OGA) has been focusing on “integrating” the North Sea’s established oil and gas industry with its rapidly growing offshore wind sector and nascent carbon capture and storage (CCS) and hydrogen projects. Recent publications have given this process added impetus. In this article, we look at the prospects for synergies between the upstream industry and renewables.
Context
On 6 May 2020, the OGA published a consultation on proposed revisions to its Strategy. In previous articles we have reviewed the consultation and the proposed changes as a whole (see The OGA in Energy Transition: UK aims for upstream oil and gas regulation in line with “net zero” goals), explored the general themes of CCS, hydrogen, repurposing of upstream assets, platform electrification, gas-to-wire and offshore wind (see Evolution of Oil & Gas: The OGA’s Net Zero Goals), and looked in more detail at the subject of CCS from an upstream perspective (see The OGA’s Net Zero Goals: in-depth view of CCS and the upstream industry).
The OGA’s consultation proposed that the Strategy’s Central Obligation of maximising the economic recovery of petroleum should remain the same, but with an additional limb (b) which would require relevant persons to assist the Secretary of State in meeting the Net Zero Target. The consultation document comments that this new limb is based on the idea that “relevant persons” (i.e. the industry) are “uniquely” placed to assist with reducing emissions and supporting projects in the transition to a low carbon economy.
The consultation highlights platform electrification as one way that the industry can do this. The term “electrification” in this context is slightly misleading, in the sense that platforms are already powered by electricity. What is being referred to here is moving to a position where that electricity, rather than being produced by high carbon, on-platform generating equipment, is supplied from lower carbon sources – notably onshore or offshore renewable electricity generators.
On 16 June 2020, about halfway through the period when the OGA’s Strategy proposals were out to consultation, Oil and Gas UK (OGUK) published a report entitled The Pathway to Net Zero: Production Emissions Targets. This notes that upstream emissions account for 4% of UK greenhouse gas emissions and that the bulk of those emissions come from offshore power generation. It also highlights the potential for full or partial electrification of offshore assets, localised CCS on individual assets, integration of offshore hubs, and electrification of onshore terminals and processing plants. The report’s focus on collective innovation and coordinated effort between industry and government is consistent with the OGA’s proposals in its consultation.
About a week after the Strategy consultation concluded, the OGA published its UKCS Energy Integration: Final Report (6 August 2020) (Final Report). For the purposes of this article, the key headlines in the Final Report are:
- “Offshore O&G installations emit ~10MtCO2 e p.a. to generate power (~10% of the UK total energy supply emissions). Platform electrification will be key to cutting upstream O&G emissions, and to the industry’s social licence to operate. Offshore electrification may unlock the faster growth of renewables, expansion of offshore transmission infrastructure, and establishment of floating windpower technologies in the UK, contributing to offshore renewables’ 75GW capacity ambition by 2050.”
- Upstream platform operators (or some or all of the participants in one or more upstream joint ventures) could choose to build and operate the wind turbines themselves (not least in view of the increasing design synergies between the two technologies noted above) or they could contract with a third party generator/supplier of offshore wind power.
- A given set of wind turbines could either be “captive” generators, dedicated to a particular upstream platform (or platforms), or they could have the ability to supply other users (including potentially those onshore).
- In order for the wind farm project sponsor(s) to manage effectively offtake risk (and ensure project bankability), the power purchase agreement with the platform operator (offtaker) may prescribe “take or pay” provisions, giving the platform operator flexibility to take such delivery as may (from time to time) be dictated by its operational needs, on the condition that it pays for volumes which would otherwise be delivered. This may be particularly likely in a “captive generator” scenario with a third party wind farm operator. On the other hand, a wind farm with more export options may have an incentive to divert its production away from the upstream platform and sell its output elsewhere, or reserve flexibility to connect to existing or upgraded OFTO arrangements. This optionality would require detailed consideration of the contractual framework and applicable regulatory obligations.
- One potential advantage of floating turbines could be their ability to be deployed in more than one location over their operational life. In principle, this could open up the possibility that they could supply platforms with a shorter remaining operational life than their own, and then move on to supply another. However, it remains to be seen whether this approach would be feasible in terms of relocation costs (including reuse of connecting cables), and there would also be questions around the bankability of a business model based on a series of PPAs with different counterparties and associated offtaker creditworthiness issues.
- For renewable generators without ties to the upstream industry, the key question for the moment may be how the premium that upstream platforms are prepared to pay for green electricity compares to the strike price that the generators think they can achieve in an allocation round for Contracts for Difference (CfD) subsidising renewable electricity. Then again, just as at least some offshore wind farms that export (or plan to export) all their output to the onshore grid are taking a conscious decision to divide their output between a CfD-subsidised and a subsidy-free, merchant element, it may be that some developers would be attracted to developing projects that blended an element of “guaranteed” income under a contract with an upstream platform with exports further afield on a CfD or merchant basis.
- How could wind power and oil and gas electrification timelines be better aligned, given the shorter lifetime of oil and gas assets?
- How could “access to seabed” be managed if proposed wind farms were to be installed on licensed oil and gas acreage?
- Could “route to market” decisions be simplified if wind farm developments are for sole supply of oil and gas installations?
- Could surveys and results of an oil and gas environmental impact assessment be used (where applicable) to satisfy requirements of wind farms in the vicinity of installations?
- Wind farm owners and OFTOs are used to a model in which they only have each other to think about: one generator, and one transmission operator, per offshore link. OFTOs are not like onshore grid operators which are used to coping with multiple power flows and all kinds of generation and demand. Introducing a second generator using a different technology is a significant complication to their business model – and that of those who finance them.
- Taking a positive view, one could point to the fact that the OFTO would be transmitting more electricity. However, precisely because wind generation is intermittent and they only have one generator customer each, OFTOs are currently remunerated largely on the basis of their availability, rather than on a £/MWh basis for power actually transmitted.
- Looking at things from the offshore wind farm’s perspective, perhaps it could strike more advantageous commercial arrangements with those who purchase its power if it were packaged together with that of the gas-to-wire generator – potentially converting its intermittent output into baseload generation if the gas-to-wire generator flexed its generation up and down so as to mirror the troughs and peaks of wind power output? In one sense, there is nothing to stop any wind farm operator entering into such an arrangement with a gas-fired generator already connected to the grid elsewhere. The only advantage of doing so with a gas-to-wire generator would be if its operating costs were materially lower than those of equivalent existing onshore units. It is not clear whether this would be the case. The offshore gas generator will inevitably have some new infrastructure costs that its onshore counterpart would not. On the other hand, its gas supply will not come with all the same associated transport and processing costs, and it may have a carbon pricing advantage – although this could be eroded (see above on UK ETS and carbon price support).
- Joining forces with a gas-to-wire generator could also have disadvantages for a wind farm operator, if it were a party to a CfD or other arrangement that relied on its output being 100% renewable. At the very least, some bespoke metering arrangements would be required.
- Currently, over the course of a year, the average offshore transmission link only utilises 40% of its capacity so, on the face of it, there is plenty of capacity available for gas-to-wire. The problem is that the wind farms are generally incentivised to generate and export power whenever they can, and their output, although predictable within certain parameters over the course of a year, fluctuates significantly from day to day and hour to hour with changes in the weather. The OGA’s study of gas-to-wire assumes that wind output would take priority in allocating scarce capacity on any transmission link, but it says little about any possible efficiency and other impacts on the upstream generator or the gas extraction activities that lie behind it of flexing its generation in this way.
- Wood Mackenzie: “Why powering oil and gas platforms with renewables makes sense”, October 2019
- Energy Voice: “Shetland Energy Hub aims for hundreds of jobs and to make giant oilfields ‘net zero by 2030’”, 24 June 2020, https://www.energyvoice.com/otherenergy/248006/energy-hub-hopes-to-make-giant-west-of-shetland-oilfields-net-zero-by-2030/
- See Electricity Act 1989, section 6C(5).
- Recharge News: “World’s first offshore solar array rides out storm Ciara off Netherlands”, 16 February 2020, https://www.rechargenews.com/transition/worlds-first-offshore-solar-array-rides-out-storm-ciara-off-netherlands/2-1-757022
- Bloomberg: “Flying Wind Turbines Make Their First Trip Offshore in Norway”, 15 August 2019, https://www.bloomberg.com/news/articles/2019-08-15/flying-wind-power-turbine-makes-first-trip-offshore-in-norway
- Offshore Engineer: “Premier Oil Testing PB3 PowerBuoy in the North Sea”, 23 August 2019, https://www.oedigital.com/news/469883-premier-oil-testing-pb3-powerbuoy-in-the-north-sea