![]() ![]() 55ĬHAPTER 4 FERC MARKET MANIPULATION ENFORCEMENT. CURRENT AND PAST TOPICS OF AUDIT INQUIRY.41ĬHAPTER 3 CIVIL AND CRIMINAL PENALTIES UNDER THE FEDERAL POWER AND NATURAL GAS ACTS. ADJUDICATION OF THE MERITS OF AN ALLEGED VIOLATION.37 BRADY RIGHTS IN A FERC INVESTIGATION.34 E. CONCLUSION.23ĬHAPTER 2 FERC INVESTIGATIONS AND AUDITS. RESPOND APPROPRIATELY TO VIOLATIONS TO PREVENT FUTURE PROMOTE AND ENFORCE THE PROGRAM CONSISTENTLY.18 K. AUDITING AND MONITORING, INCLUDING INTERNAL REPORTING COMMUNICATION OF STANDARDS AND PROCEDURES.14 H. SPECIFIC INDIVIDUALS' DELEGATED DAY-TO-DAY OPERATIONAL SENIOR OFFICERS' PROGRAM RESPONSIBILITY.12 E. DIRECTORS' PROGRAM OVERSIGHT RESPONSIBILITIES.10 D. STANDARDS AND PROCEDURES TO PREVENT AND DETECT KEY ELEMENTS FOR A SUCCESSFUL COMPLIANCE PROGRAM.7Ī. THE 2010 POLICY STATEMENT ON PENALTY GUIDELINES. FERC'S EARLY POLICY STATEMENTS ON COMPLIANCE PROGRAMS (2005-2008).1ī. 2016)ĬHAPTER 1 THE HALLMARKS OF A SUCCESSFUL COMPLIANCE PROGRAM. SKADDEN ENERGY LAW HANDBOOK Fourth Edition (Nov. ![]() 816, which adopts important changes to the rules for obtaining market-based rate authorization and the reporting requirements for marketbased rate sellers. 35.41(b).Ĭhapter 12 - Section 203 Discusses FERC's recent policy statement on Hold Harmless Commitments and the Commission's inquiry into potential modifications to its analysis of the horizontal market power effects of mergers.Ĭhapter 14 - Section 205 Discusses recent changes and clarifications to the rules governing jurisdictional determinations for power sales and the associated filing and reporting requirements, as well as Order No. ANONYMIZER UNIVERSAL ERROR CODE 1253 REGISTRATIONCity Power Marketing on the defendants' motion to dismiss, including with respect to FERC's definition of fraud and FERC's position regarding open-market manipulation claims, as well as recent matters that provide insight into how the courts and FERC approach anti-manipulation actions.Ĭhapter 5 - CFTC Regulation Includes updates to CFTC penalty assessments in fiscal 2015, a new section on market disruptive practices (spoofing) and a summary of whistleblower provisions and awards.Ĭhapter 6 - Antitrust Enforcement (no revisions)Ĭhapter 7 - Reliability Reviews updates to NERC's implementation of the Risk-Based Initiative and Risk-Based Registration Initiative.Ĭhapter 8 - Affiliate Rules Includes a description of what constitutes control of an affiliate for purposes of the various FERC affiliate rules.Ĭhapter 11 - False Statements Includes recent FERC orders and other developments involving alleged violations of 18 C.F.R. District Court for the District of Columbia in FERC v. ANONYMIZER UNIVERSAL ERROR CODE 1253 GENERATOR807 and 807-A, which relaxed certain Open Access Transmission Tariff requirements applicable to utilities that own generator tie lines.Ĭhapter 2 - Audits and Investigations Discusses the evolving treatment of judicial review of FERC enforcement actions leading to civil penalties and summarizes recent FERC audits.Ĭhapter 3 - Criminal and Civil Penalties Discusses judicial review of FERC penalty orders and recent legislation increasing the amounts of FERC civil penalties.Ĭhapter 4 - FERC Market Manipulation Enforcement Examines a recent decision by the U.S. ![]() 2016) What's New: A Brief Summary of Updates to the Third EditionĬhapter 1 - Compliance Programs Includes an examination of decisions issued over the last two years that evaluate compliance programs and reflect the Commission's awarding or denying of compliance credits when applying the Penalty Guidelines.Ĭhapter 9 - OATT Discusses recent transmission and interconnection developments, including FERC's issuance of Order Nos. Skadden Energy Law Handbook Fourth Edition (Nov. This publication may be considered advertising under applicable state laws. This publication is provided by Skadden, Arps, Slate, Meagher & Flom LLP and its affiliates is for educational and informational purposes only and is not intended and should not be construed as legal advice. *The group would like to thank Cynthia Lewis and legal assistants Benjamin Mayo and Tiffany Escandar for their contribution to this project. Skadden Energy Regulation and Litigation Group* The fourth edition is also available on our website at /energy-law. The changes of most interest are summarized on our "What's New" page. This edition provides updates to each chapter where appropriate to address significant new developments. The Skadden Energy Regulatory and Litigation Group is pleased to provide you with the fourth edition of our Energy Law Handbook. ![]()
0 Comments
Leave a Reply. |
AuthorWrite something about yourself. No need to be fancy, just an overview. ArchivesCategories |