9 April 2025
The Australian Pipelines and Gas Association (APGA) represents the owners, operators, designers, constructors and service providers of Australia’s pipeline infrastructure. APGA members ensure safe and reliable delivery of over 1,500 PJpa of gas consumed in Australia alongside over 4,500 PJpa of gas for export.
APGA welcomes the opportunity to contribute comments to the Australian Energy Market Commission’s (AEMC) draft determination on establishing a reliability framework and related mechanisms for the East Coast Gas System (ECGS). This work, and its counterpart the Supplier of Last Resort mechanism, culminates one of several periods of transition currently underway for east coast gas market participants.
This period of transition has introduced considerable uncertainty to that market. The more rules change, the less certainty there is for investors in large, long-lived infrastructure assets. The consistent position of APGA, representing the gas infrastructure industry, has been that uncertainty can and likely has deleterious impacts on appetite for investing in that infrastructure, at a time when that investment is critically needed.
The rule change processes specific to reliability in the ECGS have been an extended process since first flagged in 2023. APGA advises governments that once the AEMC’s rule change processes on the ECGS, the market must be left to respond without the threat of further, likely inappropriate market interventions.
The reliability and supply adequacy rule change requests put forward by senior energy officials are a case in point. The proponents requested a range of tools for the ECGS to ‘manage risk and threats to reliability and supply adequacy’, largely designed on tools operating in the electricity market.
APGA has consistently advised governments that direct application of electricity market mechanisms to the gas market is inappropriate. Electricity and gas markets are fundamentally different and management of the deliverability aspect of the latter is extremely complex. It is not simple to identify single causes of potential supply adequacy failures – as the AEMC notes in its paper, these could be due to storage withdrawal rates, distances between supply sources and demand, linepack management, or a combination of any of these factors. None of these factors can be easily influenced by an ex-ante standard.
The AEMC’s recognition of this is encouraging. APGA considers the AEMC’s alternative proposal to establish an objective and transparent risk/threat signalling framework is a reasonable balance between achieving the objectives of the rule change request and meeting the National Gas Objectives without implementing substantial changes that would be inappropriate and ineffective.
APGA makes the following observations about the design of the framework:
Market settings review governance
The AEMC’s recommended approach to establishing periodic Gas Reliability Committees to review market settings is reasonable. The preferred report and recommend approach provides an appropriate level of decision-making remove, notwithstanding the AEMC’s membership of the GRC. Hence APGA considers it important and complementary for the AEMC to broadly consult on the Terms of Reference for each Review – rather than simply issue them ahead of each Review.
APGA looks forward to working with AEMO to establish appropriate guidelines and procedures for the framework.