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BAL-001-0 Real Power Balancing Control Performance To maintain Interconnection steady-state... BAL-001-0a (WECC Request for Interpretation of BAL-001-0, Requirement 1) Inactive BAL-001-0.1a...

Reliability Standards for the Bulk Electric Systems of North America

the NERC Board of Trustees 2 April 16, 2015 FERC Order issued approving BAL-001-2 Standard BAL-001-2 – Real Power Balancing Control Performance Page 5 of 9 I Attachment 1 Equations...

CIP-002-5.1a — Cyber Security — BES Cyber System Categorization

CIP-002-5.1a — Cyber Security — BES Cyber System Categorization Page 1 of 37 A.... is part of a Load shedding program that is subject to one or more requirements in a NERC or Regional...

Filings_to_FERC_Archive.xlsx

TPL-001-5NERC submits comments on the Notice of Proposed Rulemaking regarding proposed... RR19-7-000 7/22/19 2019 Comments of NERC in Response to Notice of Proposed Rulemaking on CIP-012-1...

Getting to know the NERC CIP standards

The North American Electric Reliability corporation (NERC) CIP standards are complex and can be confusing to customers. In this tip, learn what you need to know about the NERC CIP standards in orde...

https://www.sec.gov/Archives/edgar/data/51143/000110465914038372/0001104659-14-038372.txt

Item 7.01 (Regulation FD Disclosure) ; Attachment I contains presentation materials for the morning session of IBM’s Investor Briefing on May 14, 2014. Attachment II (Non-GAAP Supplemental Materials) contains supplemental materials about non-GAAP financial measures in certain presentation materials for the morning and afternoon sessions of this event. IBM’s web site (www.ibm.com) contains a significant amount of information about IBM, including financial and other information for investors (...

NERC Case Notes: Reliability Standard CIP-001-1 | White & Case LLP

Reliability Standard: CIP-001-1 · Requirement: R1, R2 · Violation Risk Factor: Medium · Violation Severity Level: N/A · Region: NPCC · Issue: NPCC conducted a compliance audit of AES Cayuga and determined that it might have violated R1 and R2 inasmuch as it failed to have a written procedure in place for dealing with sabotage events which included: (i) steps for recognizing and making the appropriate personnel aware of sabotage events; (ii) communicating sabotage events to the appropri...

NERC FFT Reports: Reliability Standard CIP-002-3a | White & Case LLP

Reliability Standard: CIP-002-3a · Requirement: 1; 3 · Region: TRE · Issue: TECO, as a GO, self-reported a redressed violation of R1 of CIP-001-2a to TRE on August 28, 2012. The violation involved TECO's procedures, which did not meet the mandates for making operating personnel recognize and become aware of sabotage events. The duration of violation was from October 1, 2011, the date on which TECO first was mandated to comply with the standard, to August 2, 2012, the date on which TECO upd...

NERC FFT Reports: Reliability Standard CIP-001-1a | White & Case LLP

Reliability Standard: CIP-001-1a · Requirement: R3 · Region: SERC · Issue: Following a self-report, SERC determined that FFT Entity did not provide its operating personnel with sabotage response guidelines in violation of R3. Finding: SERC found that this issue constituted only a minimal risk and did not pose a serious or substantial risk to the reliability of the BPS because FFT Entity is a minimal size facility that is connected radially to the BPS at three interconnection points, and th...

Reliability Standards Under Development

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