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03 Feb 2025

CEC does not support suspending the market impact component (MIC) without a replacement mechanism that incentivises the effective management of network outages to minimise market impacts. We propose that the MIC should be replaced as soon as possible to improve outage management by incentivising TNSPs inputting data in the NOS at least 4 months ahead of time.

The CEC broadly supports the AER's proposals in relation to the network capability component (NCC). However, we consider there could be improvements to the proposed NCC scheme. These improvements aim to increase transparency in the decision making concerning the inclusion and removal of priority projects and permit increased stakeholder engagement in identifying and proposing priority projects under the NCC scheme for the TNSP’s consideration.

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