We welcome the consultation to streamline network connection processes for large consumer energy resources (CER) and electric vehicle supply equipment (EVSE). We see value in streamlining this process, which will support the efficient uptake and integration of CER to meet net-zero targets, and enable affordable, clean energy for consumers and communities.
As such, we’re largely supportive of the recommendations outlined in the Options Paper. Currently we know that often, a key barrier for non-network proponents is a lack of visibility of hosting capacity and constraints at the local level, which makes it difficult to know which parts of the network will likely enable access at least-cost.
However, we do not support the provision to ‘Incentivise distributed network service providers (DNSPs) to connect and energise EVSE and Large CER faster.’ We consider it inappropriate to implement an incentive scheme to financially reward DNSPs for this, when there are already financial instruments, such as the rate of return, which allow them to earn a return on their investments.