In accoradance
with 5 CFR 1320, the information collection is approved for three
years.
Inventory as of this Action
Requested
Previously Approved
09/30/2019
36 Months From Approved
02/28/2019
11,275
0
11,275
230,032
0
246,830
0
0
0
Clarifying Order in Docket RM10-12,
issued 6/1/6/2016. The e-Tag ID requirement (part of FERC-920) was
initially imposed, then put on hold (and never imposed on
industry). Because the fields associated with reporting e-Tag ID
information in the EQR were formally removed in this clarifying
order on 6/16/2016, we are now submitting a request to remove the
burden (program decrease) associated with e-Tag ID (included in the
FERC inventory since Order No. 768 in 2012). No other substantive
changes are being made to the FERC-920; FERC is simply adjusting
the burden inventory here to remove the burden associated with
reporting e-Tag ID information in the EQR. General. The Commission
set forth the EQR filing requirements in Order No. 2001 (in
RM01-8-000, issued April 25, 2002). Order No. 2001 required public
utilities to electronically file EQRs summarizing transaction
information for short-term and long-term cost-based sales and
market-based rate sales and the contractual terms and conditions in
their agreements for all jurisdictional services. The Commission
established the EQR reporting requirements to help ensure the
collection of information needed to perform its regulatory
functions over transmission and sales, while making data more
useful to the public and allowing public utilities to better
fulfill their responsibility under FPA section 205(c) to have rates
on file in a convenient form and place. In RM12-3, FERC is amending
its process and the system by which filings are made. FERC adopts a
web-based approach to filing EQRs that will allow a public or
non-public utility to file an EQR directly through FERC's website,
either through a web interface or by submitting an Extensible
Mark-Up Language-formatted file. By adopting a process with two
options for filing EQRs, FERC seeks to provide the flexibility
needed to accommodate a public or non-public utility's technical
preference. The Commission also requires a public or non-public
utility to identify itself with a company identification number
rather than the existing software-based EQR identifier. The changes
to the process for filing EQRs will apply to EQR filings beginning
with the third quarter 2013 EQR, which will provide data for July
through September 2013.
This clarification order
removes from the OMB-approved inventory a burden related to e-Tag
ID, a requirement on hold, never imposed, and carried in the FERC
inventory for several years and now formally removed from the
requirements. Burden Estimate Changes from Final Rule in RM10-12.
As a result of the determination in the order on rehearing issued
on February 6, 2015, in Docket No. RM10-12-002, and the
clarification order on June 16, 2016 to rescind the requirement for
filers to report e-Tag ID information in their EQRs and remove
associated fields from the EQR database, the estimated burden hours
reflected in the Final Rule in Docket No. RM10-12 have been lowered
by 10 percent, along with a commensurate reduction in costs. The
supporting statement (ICR 201211-1902-016, approved by OMB
2/8/2013) related to the Final Rule in RM10-12, issued 9/21/2012,
said in part: “When averaging the one-time implementation burden
and cost over Years 1-3, the total additional annual burden and
cost for all filers (due to the Final Rule in RM10-12) are
167,998.33 burden hours and $10,584,214.76.” As detailed above and
in #12 and #15, we are submitting a program decrease of 16,797.69
hrs. annually to reflect the removal of the e-Tag ID
requirement.
$525,133
No
No
No
No
No
Uncollected
Maria Vouras 202 502-8062
maria.vouras@ferc.gov
No
On behalf of this Federal agency, I certify that
the collection of information encompassed by this request complies
with 5 CFR 1320.9 and the related provisions of 5 CFR
1320.8(b)(3).
The following is a summary of the topics, regarding
the proposed collection of information, that the certification
covers:
(i) Why the information is being collected;
(ii) Use of information;
(iii) Burden estimate;
(iv) Nature of response (voluntary, required for a
benefit, or mandatory);
(v) Nature and extent of confidentiality; and
(vi) Need to display currently valid OMB control
number;
If you are unable to certify compliance with any of
these provisions, identify the item by leaving the box unchecked
and explain the reason in the Supporting Statement.