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      Added footnote "Some specifications (e.g. [FSGIM]) have extended the basic [Streams] capabilities, but this brings additional complexity which does not benefit our use cases."

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      Added footnote "Some specifications (e.g. [FSGIM] ) have extended the basic [Streams] capabilities, but this brings additional complexity which does not benefit our use cases."

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      Sections 1.6.3 and 1.6.4 (beginning at line 158) discuss conformance with WS-Calendar Streams and with FSGIM. It should be noted that FSGIM extended the idea of Streams beyond just a sequence of identical, contiguous intervals (as documented in the FSGIM User Guide, beginning at page 221). I would recommend that the CTS committee consider this more general specification, which supports the notion of Streams as well as other, less periodic sequences.

      Steve Ray

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          WilliamCox William Cox added a comment -

          For consideration, the proposed text needs to be contributed to the Energy Interoperation Technical Committee. The simplest way is to email the relevant document(s) to energyinterop-comment@lists.oasis-open.org after subscribing to that list. The Streams-related classes in the 2016 FSGIM model do not appear different from the WS-Calendar standard.

          There are no links provided, and locating "FSGIM User Guide" has not succeeded. We request that the commenter identify and provide relevant documents.

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          WilliamCox William Cox added a comment - For consideration, the proposed text needs to be contributed to the Energy Interoperation Technical Committee. The simplest way is to email the relevant document(s) to energyinterop-comment@lists.oasis-open.org after subscribing to that list. The Streams-related classes in the 2016 FSGIM model do not appear different from the WS-Calendar standard. There are no links provided, and locating "FSGIM User Guide" has not succeeded. We request that the commenter identify and provide relevant documents.
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          WilliamCox William Cox added a comment -

          Add text to Section 1.6.4 (PR01 draft) indicating that FSGIM extends the WS-Calendar definition of Streams.

          The separate recommendation that the TC consider the FSGIM extensions is rejected. Most energy markets are periodical in nature (e.g. five-minute markets and one-hour markets) which means that flexibility seems to add little if any benefit.

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          WilliamCox William Cox added a comment - Add text to Section 1.6.4 (PR01 draft) indicating that FSGIM extends the WS-Calendar definition of Streams. The separate recommendation that the TC consider the FSGIM extensions is rejected. Most energy markets are periodical in nature (e.g. five-minute markets and one-hour markets) which means that flexibility seems to add little if any benefit.
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          WilliamCox William Cox added a comment -

          Transition all APPLIED to CLOSED per Energy Interoperation TC Motion April 28, 2022.

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          WilliamCox William Cox added a comment - Transition all APPLIED to CLOSED per Energy Interoperation TC Motion April 28, 2022.

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            • Assignee:
              WilliamCox William Cox
              Reporter:
              toby.considine Toby Considine (Inactive)
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