Recently the California Energy Commission issued a DRAFT SOLICITATION CONCEPT for a series of EV-related Interoperability Testing Events. We support the goal of 100% zero-emission passenger vehicle sales by 2035 and believe that interoperable communications between systems is a critical success factor in achieving that goal.

QualityLogic submitted comments to the CEC concerning the DRAFT SOLICITATION and we thought a version of those comments would be a valuable addition to GEI. Solving the problem identified is critical for scaling Grid-EV integration in our view. Our focus is on application protocol interoperability – e.g., OpenADR, OCPP, IEEE 2030.5, etc – rather than product standardization.

 

EVF Integration Goals

The problem the CEC is addressing is well stated:

For California to achieve its transportation electrification goals…the industry must continue moving towards interoperability, where vehicles, chargers, and software systems work together, without special knowledge or effort by the user. The market is still nascent, and there are several competing standards for hardware and software. Furthermore, new products are rapidly entering the market, posing a challenge for interoperability.

Implied but not explicitly stated is the need for the EV eco-system to interoperate with the distribution utilities (IOUs, MUNIs, etc) which have a major role in the business of decarbonizing the transportation sector. California desires to be a leader while establishing a competitive market that drives up scalability, quality and interoperability while driving down costs. Addressing the Grid-EV interoperability challenge involves multiple concurrent and serial activities.

The CEC interoperability goals are worthy of millions in investment. The goals also overlap activities of other organizations. For instance, the OCA (OCPP ITCA) already conducts their own Interop events 2x per year in pursuit of evolving their standard and interoperability. What is the value that a CEC funded Interop activity could add to existing industry activities? Further, unless such activities are done in collaboration with the organizations (SDO/ITCA) responsible for improving the standard and certification programs, much of the potential improvements are left to chance and may not occur.

If the CEC or industry wanted to accelerate this type if interoperability testing it could do so by supporting ITCA operated interoperability programs. The key relevant vendors are already participating in the alliances and it would be the most efficient method to accelerate this form of interoperability activities. The actual interoperability status for each protocol eco-system is not readily obtained. There is no standard for assessing eco-system interoperability for a specific protocol and the ITCAs don’t have resources for making such assessments. A useful, perhaps necessary, activity would be to commission some form of assessment of current intra-protocol interoperability (and perhaps Inter-protocol interoperability) in order to establish an interoperability baseline and identify the most valuable contribution(s) the CEC or others could make towards the EV eco-system interoperability goals.

Interop activities would also be valuable if focused on inter-protocol interoperability. This is more challenging and is also key to developing a multi-protocol, interoperable eco-system in CA and beyond. There is room for innovation in this type of activity and no single organization today focuses on this issue.

To read the full article, including analysis of Interop Events and Product & Test Tool Development, subscribe to GridEdge Intelligence at https://www.gridedgeintelligence.com

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