Zero-Emission Vehicles. Under the federal Clean Air Act (CAA), most states, including Washington, are restricted from enacting their own emissions standards for new motor vehicles, which is an authority generally reserved for the federal government. California is the only state allowed under the CAA to adopt state standards for vehicle emissions. Other states may adopt vehicle emissions standards identical to California's for specific vehicle model years.
In 2020, the Legislature required the Department of Ecology (Ecology) to adopt all of California's motor vehicle emission standards, which includes low-emission vehicle (LEV) and zero-emission vehicle (ZEV) program regulations.
Electric Vehicle Charging Infrastructure Pilot Program. A 2015 law, required the Washington State Department of Transportation’s (WSDOT) Innovative Partnerships Office to develop a pilot program to support deployment of electric vehicle (EV) charging infrastructure. WSDOT is required to adopt rules to implement the pilot program and support current EV drivers as well as the anticipated growth in EV adoption. In 2019, the program expanded to include proposals for hydrogen fuel station infrastructure.
In 2019, the Legislature created an EV Account for expenditures on certain transportation electrification and alternative fuel related purposes. Revenues from an annual $75 fee imposed on electric or hybrid vehicles are deposited into the EV Account.
Electric Vehicle Infrastructure Requirements. The State Building Code Council (council) maintains the State Energy Code (code) as a part of the State Building Code, which sets the minimum construction requirements for buildings in the state. The code provides a maximum and minimum level of energy efficiency for residential buildings and the minimum level of energy efficiency for nonresidential buildings.
The council is required to adopt rules to establish EV infrastructure requirements that require EV charging capability at all new buildings that provide on-site parking by July 1, 2021. These rules must provide that:
Electric Utility Resource Plans. Electric utilities may be operated by municipalities (municipal electric utilities), public utility districts (PUDs), which are special purpose districts which may be formed to generate and distribute electricity, and privately owned electrical companies (investor-owned utilities). Investor-owned utility rates are subject to review and approval by the Utilities and Transportation Commission (UTC).
Each electric utility must develop a Resource Plan (RP). Utilities with 25,000 or more customers not fully served by the Bonneville Power Administration (BPA) must develop Integrated Resource Plans (IRPs). An IRP must include forecasts of projected customer demand and assessments of commercially available conservation and efficiency resources and renewable and nonrenewable technologies. Utilities with fewer than 25,000 customers or that are fully served BPA customers must complete a RP with fewer required components than IRPs. IRPs and other RPs must be updated at least every two years.
For electric utilities required to develop an IRP, the IRP must include the following:
Electrification of Transportation Plan. The governing body of a municipal electric utility or PUD may adopt an electrification of transportation plan that, at a minimum, establishes a finding that utility outreach and investment in the electrification of transportation infrastructure does not increase net costs to ratepayers in excess of 0.25 percent.
An investor-owned utility may submit to the UTC an electrification of transportation plan that deploys electric vehicle supply equipment (EVSE) or provides other electric transportation programs, services, or incentives to support electrification of transportation, provided that such EVSE programs or services do not increase costs to customers in excess of 0.25 percent above the benefits of electric transportation to all customers over a period consistent with the utility's planning horizon under its most recent IRP.
The incentive rate of return on investment:
Washington Greenhouse Gas Limits. Washington enacted legislation in 2008 setting a series of limits on emission of GHGs within the state. Ecology is responsible for monitoring and tracking the state's progress toward the emission limits. Additional legislation in 2020 updated the state limits to the following:
Electric Vehicle Infrastructure Tool. WSDOT must develop and maintain a publicly available mapping and forecasting tool (tool) that provides locations and essential information of charging and refueling infrastructure to support forecasted levels of EV adoption, travel, and use. When developing the tool WSDOT must consult with Ecology as well as the Department of Commerce and the state Office of Equity.
The tool must:
If feasible or to the extent feasible, the tool must also:
In this section, EV is defined as any craft, vessel, automobile, public transportation vehicle, or equipment that transports people or goods and operates, either partially or exclusively, on electrical energy from an off-board source that is stored onboard for motive purpose.
WSDOT must conduct a stakeholder process when developing the tool and must involve stakeholders early in the tool development process. WSDOT may contract with consultants or Department of Commerce to develop and implement all or part of the tool, and may rely on or contract for privately maintained data.
Funds in the EV Account may be used for the tool. To the extent the tool is used to recommend future EV charging sites, WSDOT must consider recommending sites co-located with small retailers and other amenities.
Electric Utilities' Resource Plans. Electric utilities' IRPs and RPs must account for:
Electric Vehicle Infrastructure Requirements. The council's EV requirements for buildings must exceed the minimum requirements established in 2019 for residential and commercial buildings to the extent necessary to support anticipated levels of ZEV use that result from the ZEV program implementation, and that result in emission reductions consistent with state emission reduction limits.
The council must adopt rules to implement the EV infrastructure requirements by July 1, 2024 and the rules may be periodically updated thereafter.
Electric Vehicle Goal. A goal is established for the state that all publicly and privately owned passenger and light-duty vehicles of model year 2030 and later sold, purchased, or registered in Washington be EVs. This goal does not supersede any other law—any other law that conflicts with it is controlling. A state agency is not permitted to restrict the purchase, sale, or registration of vehicles on the basis of this goal. This goal does not change or affect the directive for Ecology to implement the ZEV program.
In this section, EV is defined as vehicles that use energy stored in rechargeable battery packs or in hydrogen and that rely solely on electric motors for propulsion.
The committee recommended a different version of the bill than what was heard. PRO: Electric utilities are in a unique position as they play an essential role in transportation electrification. This bill provides further direction and clarity to ensure utilities are proactively planning for new load growth and this mapping and forecasting tool is absolutely necessary for policy makers and those that will be planning and financing the deployment of the electric fleets. There may be a growth in EV sale in the future but a key challenge is the availability of charging. This bill addresses those concerns by identifying where charging is available and helping forecast where that charging will be needed. This bill will also extend planning for the infrastructure and supply needed to support the increase in low emission vehicles and enable more people who want to buy low emission vehicles to see a pathway to that goal. It will ensure that all communities can benefit from ZEV and have the realistic opportunity to access the required infrastructure. There is a request for the study to include avoided transmission and distribution cost and for the study to consult with experts in hydrogen and utility infrastructure. There is an additional request for the utility planning requirement to be delayed.
CON: This will cost money and that cost will be passed down to the consumers. Electricity has to be produced and transported. There will also be substantial construction needed and it will take a lot of work to dig everything up.
OTHER: Information is important for a strategic approach to further advance the adoption of EVs in Washington. This tool would provide a comprehensive approach to statewide ZEV planning and help prioritize the state's EV charging and refueling investment. The tool could unlock federal funding for electrification projects and we can have a plan in place to put those federal funds to work in Washington. This bill will also help the state know where there are gaps of information in planning and it can facilitate the siting of EV charging stations to ensure an equitable distribution of charging stations to benefit all Washingtonians. Putting the charging stations in the right places is the key to growing the ZEV market and making the finances pencil out. The tool in this bill would create a centralized state resource that includes the information and data needed for planning is an efficient use of public funding, providing savings across state and local governments and utilities.
PRO: EVs will rapidly become an increasingly larger portion of the overall vehicle fleet. Auto dealers are comfortable with the stretch goal of EV vehicle sales by 2030 to keep in stride with California's goal of 2035. One thing we have noted with our customers looking at EVs is that they need to feel comfortable with the vehicle's range and that there is sufficient charging available out there. They need to know where the charging capacity will be available. The tool will help with this.
We support the tool because it looks at more than just electricity, but also where can these stations be located. This is an opportunity to not shut out our small businesses that support the current fueling infrastructure in this state. We need to include them in these discussions and they would like to be included in the new fueling infrastructure and green economy. You need more than just fueling infrastructure along the roads.
Electric utilities play a key role in planning for a clean transportation future. The benefits need to be for all Washingtonians, especially those that are low income and those that have been disproportionately impacted in the current system. This bill provides greater clarity to ensure that utilities are actively planning for reliable transportation fueling infrastructure. The new tool will help this. This bill will help enable widespread access to EV charging. A recent JTC study identified that to support 56,000 state vehicles we need 10,000 charging stations, half of which need to be DC fast chargers. Each DC fast charger is equivalent to a big box store's use of energy. One million EVs will need several hundred thousand stations. The infrastructure needs to stretch beyond the charging stations themselves. There needs to be transformer and wire upgrades to make this all possible.
OTHER: WSDOT is interested in zero emission transportation in both the movement of people and goods. This bill would provide a coordinated and comprehensive approach for electrification planning. The bill would help to prioritize the investments in electric vehicle charging and hydrogen refueling infrastructure. One million EVs will need to be driving on our roads by 2030 in order to meet our statutory green house emissions goals as laid out in our 2021 State Energy Strategy. The recharging and refueling infrastructure will need to accompany this growth. This aggressive infrastructure growth leads to an interesting challenge—how best can a utility plan for infrastructure that supports city and county fleets, private vehicles, transit buses, and household goods movement without the right information? The use of public funds for a planning tool is both efficient and appropriate. Ecology supports this bill. ZEV are an important part of addressing climate change. Knowing where there are gaps in information and planning will facilitate the installation of charging stations and ensure an equitable distribution of charging stations and benefit all Washingtonians.