BILL ANALYSIS AB 2076 Page 1 Date of Hearing: May 1, 2000 ASSEMBLY COMMITTEE ON UTILITIES AND COMMERCE Roderick D. Wright, Chair AB 2076 (Shelley) - As Amended: April 13, 2000 SUBJECT : Strategic fuel reserve. SUMMARY : Requires the State Energy Resources Conservation and Development Commission (CEC) to establish and maintain a strategic fuel reserve, utilizing existing facilities and to establish a mechanism to access the reserve. Specifically, this bill : 1)States the intent of the Legislature to establish a strategic fuel reserve to be administered by CEC. 1)Requires CEC, no later than July 1, 2002, to establish the California Strategic Fuel Reserve. 1)Provides that CEC shall determine an appropriate level of reserves of motor fuel to insulate California consumers and businesses from substantial, short-term price increases arising from refinery outages or other similar supply interruptions. 1)Provides that in no event shall the reserve be less than the amount of refined gasoline that CEC estimates could be produced by one large California refiner over a two-week period. 1)Requires CEC, when determining the appropriate level of reserve, take into account all of the following: a) Inventories of California-quality fuels or fuel components reasonably available to the California market. b) Current and historic levels of fuel inventories. c) The availability and cost of storage of fuels. d) The potential for future supply interruptions, price spikes, and the costs thereof to California consumers and businesses. AB 2076 Page 2 1)Requires CEC to establish a mechanism allowing any customer to contract at any time for the delivery of gasoline from the reserve in exchange for a promise to return an equal amount of gasoline from a refiner outside of California within a time period established by CEC, but no longer than six weeks. 1)Requires CEC to develop reserve storage space from existing facilities to the extent feasible. 1)Allows CEC to make additional rules and regulations necessary for the administration of the above provisions. 1)Requires CEC to report to the Legislature on the progress and proposed operation of the reserve no later than July 1, 2001. EXISTING LAW requires CEC to develop contingency plans to deal with possible shortages of electrical energy or fuel supplies. FISCAL EFFECT : Sponsor indicates start-up costs of $100 million and annual expenditures of $12 million. COMMENTS : 1)Background. California has experienced a number of gasoline price spikes since 1996. In recent months, these spikes have resulted from problems at California refineries. During the spring and summer of 1999, retail gasoline prices rose more than $0.25 per gallon in California than in the rest of the nation. Last year, Attorney General Bill Lockyer, the sponsor of this legislation, convened a task force to discuss the high price of gasoline in California and to develop possible approaches to solving the problem of high prices. The Attorney General's Report found the following factors contribute significantly to the difference between prices in California and the rest of the U.S.: 1) the relative lack of competition within the state's gasoline refining and marketing industry; 2) California's unique clean-burning gasoline formulation standards; 3) the distance between California and major refining centers outside the state; 4) higher state taxes (approximately 5.3 cents higher in California than in the rest of the nation). 1)Rationale for Proposal. There are 12 California refineries (owned by eight companies) producing California's unique Air Resources Board-approved (CARB) reformulated gasoline. The AB 2076 Page 3 Attorney General's Report stated that "industry inventory and pricing practices in California likely help to keep prices higher in the state than in the rest of the US. Inventory levels in California and on the West Coast were more that 20% lower in 1999 than they were in the early 1990s . . . . . At reduced inventory levels, relatively small supply disruptions have the potential to lead to large price increases." The Attorney General believes that California inventories are not sufficient to cover periods of unexpected refinery outages and that a state-owned reserve within California's borders would blunt the impact of gasoline spikes driven by short-term operating disruptions. 1)History. In 1993, CEC did a study to consider the creation of a regional petroleum product reserve. The 1993 Reserve Study (1993 Study) explored the feasibility of constructing and operating a state-owned five million barrel bulk storage facility for gasoline and diesel in California. The report concluded that the proposed facility was not economically justifiable. Since the completion of the 1993 Study, however, significantly different market conditions - in both the electricity and petroleum products market - have reopened interest in the concept of a California Petroleum product reserve. The introduction of CARB fuels has resulted in the wholesale or "refinery gate" price for CARB gasoline that is an average of about $0.04 higher that conventional gasoline. CARB gasoline is used primarily in California and is not manufactured to any significant degree outside the state. Out-of-state CARB gasoline comes from refineries in the Gulf Coast or in Europe and take approximately four to six weeks to reach California or are transported via marine tanker from the Houston area at costs that range from $0.08 to $0.12 per gallon. Additionally, California's electric utilities have switched from burning residual oil to natural gas and unneeded storage capacity is available that can be converted for gasoline storage with significantly less investment than construction. The author notes that several facilities exist around the state including Oxnard, Los Angeles and San Francisco and cites the cost for conversion of a single facility at less than $25 million. 1)In a 1997 Analysis of Petroleum Products Prices (1997 Staff Report) staff in the Fuels Office of CEC indicated that a physical reserve of products can be seen as one means of providing price stability in the market place. The staff AB 2076 Page 4 concluded, however, that a product reserve would be marginally economic at best. The conclusion was based on a 20 year reserve life, the costs of converting existing storage tanks, the costs of initial inventory purchases and of ongoing storage costs. The 1997 Staff Report further noted that if during restocking, prices increased by more than $0.02 cents per gallon, the reserve would become uneconomic. The 1997 Staff Report also introduced an additional factor that could negate the benefits of the reserve -- refiner behavior - refiners could lower their own inventories and offset the positive benefits of a reserve. 1)Establishing the Reserve. This bill requires CEC to determine the appropriate level of fuel reserves to insulate consumers from substantial price increases resulting from refinery outages or other supply interruptions. This bill further requires that the reserve include at least the amount produced by one large refiner over a two-week period. Thus, the reserves would likely be approximately 1.5 million to 3 million barrels of gasoline -- a one to three days supply. If California lost the production of one large refinery for one month, it would equal approximately three million barrels of gasoline supply. 1)Storing the Reserve. CARB gasoline has a relatively short shelf life and will not meet the CARB standard if it is not used within a few months of production. The sponsor indicates that several companies that specialize in manufacturing additives to increase the shelf life of gasoline have indicated that they were about the ability to develop additives that would extend the shelf life of gasoline beyond a year. The Committee questions whether the state should establish the reserve without having a clear understanding of the increased costs related to purchase of the additive and the viability of such a product. California also has different seasonal specifications (i.e. summer and winter) which may require either storing both specifications or "turning the tanks" periodically. 1)Releasing the Reserve. This bill requires CEC to establish a mechanism to release the reserve and requires replacement within a six week time period. The author specifies that the reserve would be released immediately when there is a supply disruption in order to prevent large price spikes. The sponsor indicates that the market will serve as an independent AB 2076 Page 5 trigger and that marketers and traders would have the incentive to acquire product from the reserve whenever the spot price of gasoline rose above the price elsewhere plus the cost of transportation. It is not clear, however, whether the trigger should be used only during disruptions to supply or whenever retail prices reach a certain level. 1)Replacing the Reserve. The sponsor indicates that the replacement fuel should come from a refiner outside of California, such as the U.S. Gulf, Caribbean or Europe. As noted above, obtaining supplies outside of California is more costly. The sponsor believes, however, that since the California marketer would have already sold the product they pulled out of the reserve, that they would have hedged their risk at no cost. 1)Opponents to this bill argue that this reserve will be expensive to maintain and that it provides no assured benefit to California's consumers. They are concerned that reserves would not be provided to refiners in a fair manner and that refiners would be forced to pay for reserves at a high cost and replace the reserve at a lower cost. Opponents also argue that CARB cannot be stored for long periods of time and that there could be potential impacts on air quality if gasoline were stored for several months. Finally, opponents are concerned that the state is not equipped to enter this complex gasoline marketplace. 1)The Attorney General's Taskforce Reserves Subcommittee (Reserves Subcommittee) has also considered the possibility of establishing and maintaining a reserve and concluded that the state should not pursue that course. The Reserves Subcommittee based it conclusions on the short shelf life of CARB gasoline; the potential to reduce incentives for others to hold their own reserves; the fact that the reserve is being developed purely for economic reasons which could have the effect of redistributing wealth among U.S. citizens and corporations; and the potential for speculative storage. The Reserves Subcommittee suggested that if the state did decide to pursue establishing the reserves that it should start with a limited test - storing CARB gasoline for use in the state's own auto fleet -- to see if the economic and logistic issues could be overcome. 1)As drafted, this bill requires CEC to consider and attempt to AB 2076 Page 6 address many of the issues outlined above by July 1, 2001. This bill continues, however, to require the CEC to establish the reserve by July 1, 2002. The sponsor should consider bifurcating the study of these issues from the implementation and start-up of the reserve. 1)Related legislation : AB 2098 (Migden) requires CEC to study the feasibility of financing, constructing and maintaining a pipeline to the Gulf Coast to transport gasoline. AB 2666 (Battin) allows for the import and sale of federal reformulated gasoline, and imposes a surcharge on this gasoline, pending the outcome of a study by the University of California. REGISTERED SUPPORT / OPPOSITION : Support Attorney General Bill Lockyer (sponsor) Opposition ARCO Products Company EQUIVA Western States Petroleum Association Analysis Prepared by : Carolyn Veal-Hunter / U. & C. / (916) 319-2083