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For any question on data and metadata, please contact: Eurostat user support |
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1.1. Contact organisation | Ministry for the Ecological Transition and the Demographic Challenge |
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1.2. Contact organisation unit | Directorate General of Energy and Mining Policy |
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1.5. Contact mail address | The mail address for the contact person is: Paseo de la Castella, 160 28017, Madrid Spain |
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2.1. Metadata last certified | 11/07/2022 | ||
2.2. Metadata last posted | 11/07/2022 | ||
2.3. Metadata last update | 15/06/2022 |
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3.1. Data description | ||||||||||||||||||||||||||||||||||||||||||||||||||||||||||
The data this quality report refers to are european statistics on electricity prices for household and non-household final consumers. |
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3.2. Classification system | ||||||||||||||||||||||||||||||||||||||||||||||||||||||||||
The data follows the internal Eurostat classification system based on annual electricity consumption bands and tax levels. |
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3.3. Coverage - sector | ||||||||||||||||||||||||||||||||||||||||||||||||||||||||||
The data covers both the household sector, made up by all domestic consumers, and the non-household sector (made up of consumers that belong to industry, services, offices, agriculture, etc.). |
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3.4. Statistical concepts and definitions | ||||||||||||||||||||||||||||||||||||||||||||||||||||||||||
Prices are reported in national currencies per kWh and EUROS per kWh according to different bands of consumption. Since Spain uses EURO as the national currency, prices are directly peroted in EUROS per kWh For the household sector, these elelcrticty consumption bands are:
For the final non-household sector, the bands are:
There are 2 different reports depending on whether the information refers to either biannual or annual prices: 1- Biannual prices: These prices are reported twice a year and are divided into 3 levels:
2- Annual prices: These prices are reported once a year together with the data for the second semester and are divided into the following components and taxes:
Spain had been privy to a derogation granted to Spain by the Commission Implementing Decision (EU) 2018/1734 of 14 November 2018. This was necessary because national regulation did not allow at that moment for a clear identification of all price components and sub-components. the then network tariffs in the Kingdom of Spain covered a , tework costs, a wide range of taxes, charges and other costs related with renewable energy, capacity allocation and other concepts. When this derogation was granted network costs could be accurately and easily estimated from data provided by suppliers and thus be identified as a separate price component, the same could not be said to the same degree of certainty for thetotality of components and sub-components. Therefore, from 2013 onwards "network costs" could be separately reported but the rest of the concepts, taxes (except VAT and the Spanish Special Tax on Electricity) levies, etc., are incorporated into the "Energy and supply" component. This was the reason for the derogation that was in appliction until 2018. Since then regulation has evolved and has allowed for a more clear information which has in turn helped to correctly identify the differnte compeonents and subcomponents. Thus, in 2019 and 2020 prices reported by Spain were divided in the following components:
Network tariffs in Spain covered not only network costs but also renewable related costs, the electricity sector deficit, TNP related costs (in Spain TNP refers to small isolated or connected systems) and other regulated costs. Other Member States cover these costs by means of taxes and levies that are clearly separated in the regulation of the electricity sector. However, the other components and subcomponents were calculated once network costs were extraected form netowrk tariffs. By 2021 this has changed. Network costs are currently and specifically set by regulation and the rest of the costs are esaily identifiable. Netowrk costs are annually set by the NRA (in 2021 the network costos tariffs were approved - from June onwards - in the Resolución de 18 de marzo de 2021, de la Comisión Nacional de los Mercados y la Competencia, por la que se establecen los valores de los peajes de acceso a las redes de transporte y distribución de electricidad de aplicación a partir del 1 de junio de 2021). One further consideration related to how netowrk costs are set it that the methodolgy for doing so is established in the norm Circular 3/2020, de 15 de enero, de la Comisión Nacional de los Mercados y la Competencia, por la que se establece la metodología para el cálculo de los peajes de transporte y distribución de electricidad. From 2021 onwards, prices reported in Spain are sent showing the following components:
Spain shows one more distinguishing feature in its price components and sub-components. Electricity producers are subject to a tax on energy generation. When producers take part in any of the available electricity markets, they may internalize the cost of this tax in the prices they offer. Thus electricity consumers may also be affected by this tax, which would also be included in the "Energy and supply" concept even though it is not directly observable nor measurable. In addition to these elements, the network cost is split into the respective shares of transmission and distribution. The relative share of consumption in the different consumption bands is reported by the countries and used calculate the single national electricity prices (weighted averages for consumer bands IA-IF and DA-DE). Some of the taxes are refundable. Here is a description of them:
In the table below are the taxes reported in "All other taxes", which in Spain includes only the Special Tax on Electricity, which applies to all consumers.
Annexes: Untranslated versión of Spanish regulation (Resolución de 18 de marzo de 2021, de la Comisión Nacional de los Mercados y la Competencia) in which 2021 network costs tariffs were set Untranslated versión of Spanish regulation (Circular 3/2020, de 15 de enero) that establishes the methodolgy for setting network costs tariffs |
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3.5. Statistical unit | ||||||||||||||||||||||||||||||||||||||||||||||||||||||||||
Household and final non-household consumers divided into consumption bands. |
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3.6. Statistical population | ||||||||||||||||||||||||||||||||||||||||||||||||||||||||||
For household consumers in 2020, data was initially requested to 44 electricity suppliers out of a total of almost 400.
The suppliers whose information was used provided service to at least 93,3% of household customers during 2020.
For 2021, the statitiscal population was made up of 46 electricity suppliers out of a total of almost 400.
There is currently no information on the market share of suppliers who provided service to household customers during 2021 and whose information was used.
For non-household consumers in 2020, data was initially requested to 44 electricity suppliers out of a total of almost 400 (including suppliers of last resort). Usually suppliers of last resort only have as customers household consumers and are not considered as part of the statitiscal population fopr non-household consumers but under certain cicumstances they also supply non-houshold consumers, and this was the case in the second semester of 2021.
These suppliers whose information was used provided service to at least 77,0% of non-household customers.
For 2021, the statitiscal population was made up of 46 electricity suppliers, including suppliers of last resort.
There is currently no information on the market share of suppliers who provided service to non-household customers during 2021 and whose information was used.
These percentages have been obtained from Spain's NRA Monitoring Report on Energy Supplier Changes for the fourth quarter of 2020 and are only conservative estimates. The report does not go into sufficient detail so as to provide exact market-shares ant the data refers to the number of supply points and not to the volume of energy supplied in those points.
The report only shows individual percentages for the 17 largest electricity suppliers in Spain and bundles together the rest into the category of "Independent" suppliers. This is relevant because:
In page 13 of the report, table 6 shows the share for the larger and "Independent" suppliers in the electricity markets by number of points of supply.
The representing percentages reflected in this section err on the side of caution and provide a conservative estimate. Therefore, these percentages only take into account the larger suppliers and have left out the "independent" share, for both household and non-household customers. Thus:
Notwithstanding the exact percentages obtained, it is estimated that the suppliers that provide data cover between 90 and 95% of the market share in the case of household consumers and between 70 and 75% of the market share for non-household consumers.
Annexes: Spain's NRA Monitoring Report on Energy Supplier Changes for the fourth quarter of 2020 |
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3.7. Reference area | ||||||||||||||||||||||||||||||||||||||||||||||||||||||||||
The reference area for the data is the whole country. |
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3.8. Coverage - Time | ||||||||||||||||||||||||||||||||||||||||||||||||||||||||||
Electricity prices data for Spain are available since 2003. |
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3.9. Base period | ||||||||||||||||||||||||||||||||||||||||||||||||||||||||||
Not applicable. |
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As a general rule, prices are reported to Eursotat in national currency per kWh. However, Eurostat also calculates and publishes the prices in EURO and PPS (purchasing power parity).Since Spain uses EURO as national currency, prices are reported to Eurostat dircetly in EUROS per kWh Relative shares of sub-component of the network component and consumption volumes are reported in percentages. |
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For biannual prices, the reference periods are from January 1st to June 30th for the firs semester of every year and from July 1st to December 31st for the second semester. For annual prices, the reference period is the whole calendar year (from January 1st to December 31st). |
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6.1. Institutional Mandate - legal acts and other agreements | |||
At EU level:
At national level there has been a change in the regulation: Until 2020 the legislation in force was:
Since 2021 the legislation has changed and what has been in force since then is:
Annexes: Untranslated versión of Spanish regulation (Orden TED/456/2021, de 29 de abril) that consitutes the current Instituional Mandate at national level Untranslated versión of Spanish regulation (Orden ITC/606/2011, de 16 de marzo) that consituted the Instituional Mandate at national level until 2020 |
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6.2. Institutional Mandate - data sharing | |||
At EU level:
At national level:
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7.1. Confidentiality - policy | |||
At EU level:
At national level:
This regulation sets up The National Security Scheme (ENS), which is the mandatory Information Security Management System (ISMS) for public administrations. The ENS Scheme secures the information systems, their services and their information (including those usde in data gathernig for electricity prices) through five dimensions in which information security is structured:
The Ministry for the Ecological Transition and the Demographic Challenge (MITECO) is in a continuous process of adaptation to the ENS regulation, whose ultimate goal is to achieve an increase in the level of security and maturity of the Ministry's information systems. Also, the Institutional Mandate at national level include specific provision related to data confindetiality and thah complemented ENS regulation. Because of this, the regulatory change of 2021 that took place at national level mentioned in point "6.1. Institutional Mandate - legal acts and other agreements" has had an effect on this matter. Thus, for the 2020 price data, this Institutional mandate was Orden ITC/606/2011, de 16 de marzo, por la que se determina el contenido y la forma de remisión de la información sobre los precios aplicables a los consumidores finales de electricidad al Ministerio de Industria, Turismo y Comercio. This regulation established two specific precepts related to data confidentiality.
For the 2021 price data, the Instituional Mandate was Orden TED/456/2021, de 29 de abril, por la que se determina el contenido y las condiciones de remisión al Ministerio para la Transición Ecológica y el Reto Demográfico de la información sobre los precios aplicados a los consumidores finales de electricidad. This regulation established two specific precepts related to data confidentiality:
Annexes: Untranslated versión of Spanish regulation (Real Decreto 311/2022, de 3 de mayo) that currently sets ENS/ISMS regulation for public administrations at national level |
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7.2. Confidentiality - data treatment | |||
As a second layer on the confidentiality policy which is coexistent with all the guarantees provided by the National Security Scheme (ENS), which is the mandatory Information Security Management System (ISMS) for public administrations decrbiedn in point 7.1 of this report, data treatment is based on the principle that any published data does not allow the identification of single consumers. This is achieved by a careful screening of the different data inputs provided by electricity suppliers. The national regulation on the statistic of electricity prices follows two guidelines. The first one is that no individual data is asked directly from final consumers and the sources of information on prices are electricity suppliers. The second one is that the suppliers do not provide individual information either. Each supplier is required to report the following information, differentiating by bands of consumption:
Therefore, no individual data is reported by suppliers to the Ministry for the Ecological Transition. However, there may occur extreme cases where a supplier reports that there is only one client in any given band. This may indicate the volume of energy that that client has used. However, since the supplier does not provide any identifying information of that particular consumer, its confidentiality is still safeguarded and the Ministry is never in a position to identify any given client. These exceptional cases arec covered by the fact that the information froma any given supplier is then aggregated to the information of the rest of suppliers. The Ministry's data treatment prevents individual identification of clients or suppliers once the final data is reported to Eurostat and any other agencies. During data compilation and treatment, the Ministry aggregates the data from all the suppliers making it impossible to report the information from any individual client. Thus, there is no need for additional treatment the data in order to avoid undue identification of customers, other than the preliminary verification to check that it meets the necessary requirements set in the regulation of the Kingdom of Spain. As long as the information is eligible, there is not a risk of publication of any data that could identify single consumers from any of the suppliers. |
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8.1. Release calendar | |||
The Ministry for the Ecological Transition and the Demographic Challenge publishes on its web page the following information related to electricity prices:
These reports and statistics are published annually, but without a preannounced calendar. |
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8.2. Release calendar access | |||
The data on energy and electricity prices for any given year is published and made available the following year, although it is done without a preannounced calendar. The link to the Ministry's website where the yearly data and publications mentioned in point "8.1 Release calendar" of this report are uploaded is: This link leads to the latest available publication, which includes price data for the period 2019 to 2021. |
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8.3. Release policy - user access | |||
The Ministry for the Ecological Transition releases electricity price data to users in its website. This data is made available annually to the public in general. Any user may access the publications on the Ministry's web page. These annual reports are made available in the following link: https://energia.gob.es/balances/Publicaciones/ElectricasAnuales/Paginas/ElectricasAnuales.aspx This page includes information not only related to electricity but also to other energy products, such as natural gas. The electricity prices here referred to are not exactly the same as those referred to Eurostat but they do include them, since they are obtained from a variety of sources. It should be mentioned that in 2017 the scope covered by the data published was increased, and since then a new file was added to all the others. This new file includes the very same data that is sent to Eurostat for annual prices, divided by price components, consumer type and bands of electricity consumption. |
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Electricity prices in Spain are published on a biannual basis on Eurostat's website. The data is also published on a binannual basis on IEA's website. Finally, yearly prices are being published in the Ministry's website without a preannounced calendar. |
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10.1. Dissemination format - News release | |||
There is not an official national press release related to the data. |
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10.2. Dissemination format - Publications | |||
There are two main information sources that consumers and any other interested parties may refer to in order to learn or investigate about electricity prices. The Ministry for the Ecological Transition and the Demographic Challenge publishes in its website a series of documents related to electricity prices which include:
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10.3. Dissemination format - online database | |||
There are not any online databases that are used for the dissemination of the data. |
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10.3.1. Data tables - consultations | |||
Not applicable. |
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10.4. Dissemination format - microdata access | |||
The Kingdom of Spain does not provide access to microdata. |
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10.5. Dissemination format - other | |||
No other ways for disseminating the data are available. |
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10.5.1. Metadata - consultations | |||
Not applicable. |
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10.6. Documentation on methodology | |||
There is no documentation on methodology. |
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10.6.1. Metadata completeness - rate | |||
Not applicable. |
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10.7. Quality management - documentation | |||
No document related to quality management exists. |
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11.1. Quality assurance | |||
Data quality policy seeks to guarantee the quality of both the information receied form suppliers and sent to Eurostat. In order to achieve this we uemploy a two-layered approach The first one is though the paalication of the The National Security Scheme (ENS) As referenced in point 7.1 of this report, the Kingdom of Spain has approved the Real Decreto Real Decreto 311/2022, de 3 de mayo, por el que se regula el Esquema Nacional de Seguridad. This regulation sets up The National Security Scheme (ENS), which is the mandatory Information Security Management System (ISMS) for public administrations. The ENS Scheme secures the information systems, their services and their information (including thoose udes in data gathernig for electricity prices) through five dimensions in which information security is structured:
Although all five dimensions help guarantee data quality, the integrity, authenticy and traceability dimensions help underscore the quality in the information received and used by the Ministry. As mentioned before, the Ministry for the Ecological Transition and the Demographic Challenge (MITECO) is in a continuous process of adaptation to the ENS regulation, whose ultimate goal is to achieve an increase in the level of security and maturity of the Ministry's information systems. The second layer is focused on internal review procedures and checks that are explained below:
These comparisons are done with both the values obtained in the immediately preceding period and those from the same period of the previous year, in a year-to-year comparison. This allows the Ministry to take into consideration both electricity demand evolution within the same year, as well as seasonal factors that may influence upon energy consumption and the rest of the data. |
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11.2. Quality management - assessment | |||
As refernced in point 11.1 of this report, data quality assurance is two layered. In the first layer, the Minsistry carries out periodic analyses of the different tools and applications employed in its electronic adminsitration, draws the relevant conclusions and follows the recommendations in relation to The National Security Scheme (ENS) whihc has impact on the procurement of ITC services and how these services must be provided meeting the technical and safety requirements that are set and revised. On the second layer, data quality can also be considered adequately managed since prices and energy volume data are provided by a representative share of the market. This share is estimated to be between 90 and 95% of total market share for household consumers and 70 to 75% for non-household consumers. The suppliers that make up the statistical population are largely experienced companies in any and all aspects related to electricity supply. The newer members of the statistical population have also gathered some of this expertise, since their success have made many of them grow enough to become part of the statistical population. Possible mistakes may occur since the Ministry cannot check that all suppliers take into account all the criteria on how to provide data, as established in the regulation (price components, volumes, etc.) for each band of consumption. However, whenever a supplier consults the Ministry on this issue, information is always provided in order to help them comply with the standards set. Nonetheless, since errors may always take place there is validation process set in place, as explained in point "18. Statistical processing" of this report. |
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12.1. Relevance - User Needs | |||
The following users may use information on price statistics:
The main and almost sole user is the national government which processes and reports the information to Eurostat. Some secondary use of partial information may be given by the national government, but this is limited mainly to certain price evolution analysis and other related issues. The regulatory change of 2021 that took place at national level mentioned in point "6.1. Institutional Mandate - legal acts and other agreements" has had an effect on this issue. On the other hand and until 2021, both the NRA and regional governments may use some of the electricity price data under the provisions covered by Articles 4 and 5 of Orden ITC/606/2011, de 16 de marzo, as explained in point "7.2 Confidentiality - data treatment" of this report. With the regulatory change that took place in 2021, currently the NRA and regional governments may use some of the electricity price data under the provisions covered by Article 12 of Orden TED/456/2021, de 29 de abril. Finally private users may also make use of final information on price statistics. These uses have been largely more concerned with final prices, although media (newspapers and TV) have recently began to debate on prices and their components. There is not any available feedback on the needs and uses that investigators or other users make of price data. |
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12.2. Relevance - User Satisfaction | |||
Due to the size of the unit in charge of statistics on electricity prices, a formal method that can collect the views and opinions of users has not been developed. Therefore, there is not any satisfaction feedback currently available. |
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12.3. Completeness | |||
There are two aspects that can be taken into account when data completeness:
When analyzing the first type of completeness, one must take into account the two levels at which this issue is addressed. On the one hand, as referenced previously in points 7.1 and 11.1 of this report, the Kingdom of Spain has approved the Real Decreto Real Decreto 311/2022, de 3 de mayo, por el que se regula el Esquema Nacional de Seguridad. This regulation sets up The National Security Scheme (ENS), which is the mandatory Information Security Management System (ISMS) for public administrations. The ENS Scheme secures the information systems, their services and their information (including thoose udes in data gathernig for electricity prices) through five dimensions in which information security is structured:
Although all five dimensions help guarantee data quality, the integrity and avilability dimensions help underscore the completeness of the information received and used by the Ministry. As mentioned before, the Ministry for the Ecological Transition and the Demographic Challenge (MITECO) is in a continuous process of adaptation to the ENS regulation, whose ultimate goal is to achieve an increase in the level of security and maturity of the Ministry's information systems. The second level is PRICE, the application used by the Ministry to gather data from suppliers. This application and the process in general of data gathering and reporting carried out by the Kingdom of Spain serves as a check on the completeness of data provided by the suppliers to the Ministry and that provide by the ministry to other interested parties. On the other hand, when evaluating completeness on the data reported by Spain to Eurostat and compering to previous years, the Commission Implementing Decision (EU) 2018/1734 must be taken into account. This implementing decision granted the Kingdom of Spain a derogation from producing statistical data for reference years 2017 and 2018 related with Points 5(a) and 5(b) of Annex II of Regulation (EU) 2016/1952. This provision affects the three main components and the sub-components on network prices and on taxes, fees, levies and charges for electricity prices, as well as to the three-level breakdown of these electricity prices. Thus, price statistic data submitted by Spain currently follows Directive 2008/92/EC. Once the derogation granted under this Decisión expire Spain adate irs data gathering and data treatment, complying with the requirements set under Regulation (EU) 2016/1952. In oder to achieve this new regulation was approved and new methodoligies were developed and made use of. Thus, in 2019 and 2020 prices were reported in Spain in the following components:
From 2021 onwards, prices reported in Spain are sent showing the following components:
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12.3.1. Data completeness - rate | |||
At ENS level, data completeness is analyzed for the PRICE application under the scope of the the integrity and avilability dimensions. Furthermore, on the issue of completeness of supplier data, the information is validated, as described in point "18.4 Data validation" of this report. This validation includes completeness of information verifications, since a supplier may by mistake leave out certain information. These verifications are carried out, on the one hand, automatically by the PRICE application, and, on the other, manually by personnel from the Deputy Directorate General of Electricity. While the Kingdom of Spain cannot provide a definite ratio of data completeness, it is estimated that at least 95% of the data required in the questionnaires is provided by those suppliers that upload their data before the reporting period finishes. When evaluating data completeness on the data submitted by Spain to Eurostat, it must be taken into account that price statistic data submitted by Spain currently follows Directive 2008/92/EC., under the derogation granted by the Commission Implementing Decision (EU) 2018/1734.. In the biannual price reports data completeness is fully met, since prices are reported in the 3 level required and no empty fields appear in the reports for either household or non-household final consumers. The evolution of completeness for annual reports has evolver in a positive way. Unnder the derogation granted in the Commision Implementengi Decision, annual price reports did not achieve this same level of completeness. In the yearly reports certain fields cannot be determined and are left empty. This provided for the following data completeness ratios in the yearly reports:
Once the deogation expired, the Kingdom of Spain has succesfully adpated to the requirements set in Regulation (EU) 2016/1952. In the annual price reports data completeness is also fully met. |
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13.1. Accuracy - overall | |||
The main sources of random and systematic error in the statistical outputs are:
The potential non-sampling errors mentioned above include:
One of the ways to ensure accuracy in the information sent to Eurostat is the data revision policy and the validations that the Ministry for the Ecological Transition follows and carries out, as described in point "17. Data revision" of this report. Antoher way that accuracy is guarantedd is thoguh the use of the the National Security Scheme (ENS), which is the mandatory Information Security Management System (ISMS) for public administrations. The ENS Scheme secures the information systems, their services and their information (including thoose udes in data gathernig for electricity prices) through five dimensions in which information security is structured:
Although all five dimensions help minimise accuracy realted errors, the accuracy is also reinforced as a result of guaranteeing the authenticity of the data (information comes from the suppliers that are part of the survey poulation), integrity (information is not only complete but there is certainty that it has not been unduly manipulated) and its availability for data treatment. |
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13.2. Sampling error | |||
Sampling error is not wholly applicable. Price data is generated with a large enough statistical population (population sample is made of suppliers that sell to between 90 and 95% of all household consumers and 70% or more for all nono-household consumers), that it is feasible to consider it a whole census. Since the information provided by suppliers is obtained from their internal databases which include all their clients, it can be considered almost a whole census data, rather than sample data. Nonetheless, a sampling error indicator is provide in the next point of this report. |
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13.2.1. Sampling error - indicators | |||
There is a sampling error, but it is minimized since it is estimated that the suppliers that make up the survey population cover:
This minimization of sampling error is achieved thanks to the fact that the sample represents a large enough percentage of the total population to be almost considered information coming from a whole census. |
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13.3. Non-sampling error | |||
Information is included in the sub-concepts S.13.3.1-S.13.3.5. |
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13.3.1. Coverage error | |||
Coverage error may occur but no estimates or calculations are currently available. On this issue, the regulatory change of 2021 that took place at national level mentioned in point "6.1. Institutional Mandate - legal acts and other agreements" has had a positive impact. For 2019 and 2020, the Spanish regulation on electricity price statistics, Orden ITC/606/2011, de 16 de marzo, did not provide a more explicit classification other than household and non-household consumers. Article 1 of the regulation applies to final consumers in general, dividing them into two main categories: household and non-household consumers. This means that every type of household (single person, couples, families, etc.) and non-household consumers (different services, SMEs, big consumers) are reported and taken into account. Taking into account that a high percentage of the population is covered it is considered that all types of household and non-household consumers are well represented in the sample. For 2021, the Spanish regulation on electricity price statistics, Orden TED/456/2021, de 29 de abril, provides a more explicit classification thatn preoviously regultaed. Thus household and non-household consumers are differentiated now. Consumers are classified as household or non-household taking into account the information available in the National Classification of Economic Activities (CNAE). Those consumers that belong to the CNAE groups 97 and 98 are considered household clients, while the rest of the cases are considered non-household clients. In the absence of information realtiva toh CNAE group that a customer may belong to, electricity suppliers muest assume that consumers are household clients if the capacity included in their supllier contracts is less than or equal to 15 kW. |
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13.3.1.1. Over-coverage - rate | |||
As befor, over-coverage may occur but it is not possible to estimate. On this issue, as mentioned before, the regulatory change of 2021 that took place at national level mentioned in point "6.1. Institutional Mandate - legal acts and other agreements" has had a positive effect. For 2019 and 2020, the Spanish regulation on electricity price statistics, Orden ITC/606/2011, de 16 de marzo, does not provide a more explicit classification other than household and non-household consumers. Article 1 of the regulation applies to final consumers in general, dividing them into two main categories: household and non-household consumers. This means that every type of household (single person, couples, families, etc.) and non-household consumers (different services, SMEs, big consumers) are reported and taken into account. Taking into account that a high percentage of the population is covered it is considered that all types of household and non-household consumers are well represented in the sample. For 2021, the Spanish regulation on electricity price statistics, Orden TED/456/2021, de 29 de abril, provides a more explicit classification thatn preoviously regultaed. Thus household and non-household consumers are differentiated now. Consumers are classified as household or non-household taking into account the information available in the National Classification of Economic Activities (CNAE). Those consumers that belong to the CNAE groups 97 and 98 are considered household clients, while the rest of the cases are considered non-household clients. In the absence of information realtiva toh CNAE group that a customer may belong to, electricity suppliers muest assume that consumers are household clients if the capacity included in their supllier contracts is less than or equal to 15 kW. |
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13.3.1.2. Common units - proportion | |||
No administrative sources are used when collecting data for price statistics. The regulation referred to in point 6.2 of this report makes it mandatory for all electricity suppliers to report data on price statistics to the Ministry. On this issue, the direct consequences of this regulatory requirement is that all the information received and processed by the Ministry comes from electricity suppliers, so that 100% of the data is covered by the survey. |
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13.3.2. Measurement error | |||
The main sources of error in the data are mistakes made while suppliers read, record and, when necessary, calculate data. However, these errors can be considered small. Also Spanish regulation has included provisions to punish suppliers that, amongst other wrongfull behaviour, engage in breaches of conduct and wrongfully bill their consumers. While these checks can be considered to be outside the statistical process of data gathering and reporting, they nonetheless have a positive influence on the validity of the data submitted by suppliers. |
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13.3.3. Non response error | |||
The two main sources of non response error are item non-response and provider non-response. When analyzing both types of error, one must take into account that non-response error is intrinsically related to data completeness, as referenced previously in point 12.3 and other points of this report, the Kingdom of Spain has approved the Real Decreto Real Decreto 311/2022, de 3 de mayo, por el que se regula el Esquema Nacional de Seguridad. This regulation sets up The National Security Scheme (ENS), which is the mandatory Information Security Management System (ISMS) for public administrations. The ENS Scheme secures the information systems, their services and their information (including thoose udes in data gathernig for electricity prices) through five dimensions in which information security is structured:
Although all five dimensions help minimise non-response error, the integrity and availability dimensions help underscore the completeness of the information received and used by the Ministry. This completeness helps guarantee that non-res`ponse errors are minimized. As mentioned before, the Ministry for the Ecological Transition and the Demographic Challenge (MITECO) is in a continuous process of adaptation to the ENS regulation, whose ultimate goal is to achieve an increase in the level of security and maturity of the Ministry's information systems. As a rule, item non-response is a minimal error since the data validation carried out by the Ministry easily detects inconsistencies in it. Comparisons with preceding reference period data helps detect new information not previously reported, as well as missing information and other similar errors. Supplier non-response is another error that is taken into account, although it does not have an easy solution. Informal feedback from some suppliers has shown that some of them find that the time they need to extract and review their data is not enough to meet the deadlines set. This error may be overcome with time, since the newer suppliers become used to process deadlines and growing experience helps them be more proficient with data extraction and revision. |
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13.3.3.1. Unit non-response - rate | |||
There are almost 400 electricity suppliers that operate in the Kingdom of Spain. All are under the obligation to submit price data to the Ministry. However, the survey population is limited, using criteria that takes into account both the size of the supplier and the relevance in electricity markets. The use of sampling is necessary because of both timeliness and punctuality requirements and the size of the data that has to be managed in order to provide reliable outputs to Eurostat. Data reported by suppliers to the Ministry has to be recovered and treated from their databases. Thus, survey population in the latest reports (2021) shows the following unit-reponse rates: For the first semester of 2021:
For the second semester of 2021 and annual prices
It is important to mention that the 6 largest electricity suppliers in Spain are amongst those that did provide valid data for household and non-household consumers. As previously explained these provide services to at least 93.8 % of the household customers and at least 70 % of the final non-household customers. Therefore, even though unit non-response is between 10 and 21.7% for 2021 when only taking into account the number of suppliers, the statistical population covered by those suppliers that did provide data is much larger, when seen from the point of view of the number of final consumers. As mentioned in point 3.1 the suppliers that form part of the survey population are established in article 3 of Orden TED/456/2021, de 29 de abril and the criteria used to determine which suppliers are inclkuded is directly but not exclusivelsy related to the size and relevance of the supplier. Ther is another consideration that has relevance and an impact on the survey populations for household and non-household prices. Artcile xx establishes that a supplier that meets with any of the following criteria will be included in the survey popultation for price statistics:
In Spain suppliers of last resort almost exclsuively have household consumers, so they from an exclusively practical point ofo view, theu do not effectively form part of the survey population that send information on non-houshold consumers. This is why on the rates shown in this point (and almost an all occassions) non-household unit response rates are lower than those for houshold unit response. However, under certain conditions, non-household consumers may require a supplier of last resort so there is always the pssoibilty that suppliers of last resort do in fact provied information of non-household consumers and unit response rates may be leveled or at least more similar. |
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13.3.3.2. Item non-response - rate | |||
There is no data on item non-response. While item non-response rate cannot be easily determined, the validity checks described in point "18.4 Data validation of this report" help detect and correct empty information that should have been provided by the supplier and were not. In particular, once the information is uploaded into the Ministry's application (PRICE) a first series of checks for certain inconsistencies in the data is carried out. These inconsistences may surface in some of the following forms:
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13.3.4. Processing error | |||
The following processing errors may occur throughout the whole of process of data gathering and reporting:
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13.3.5. Model assumption error | |||
Not applicable. |
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14.1. Timeliness | |||
Electricity suppliers that participate in the national data collection are requested to provide the electricity price data within 60 days [2 months] after the reference period. After arrival, the statistical office checks the micro-data for correctness, consistency and completeness and national averages are calculated and reported to Eurostat during the third month after the reference period. |
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14.1.1. Time lag - first result | |||
The first version of the electricity price questionnaire for households for the 1st semester of 2019 was sent 88 days after the reference period. The first version of the electricity price questionnaire for households for the 2nd semester of 2019 was sent 90 days after the reference period. The first version of the electricity price questionnaire for households for the 1st semester of 2020 was sent 90 days after the reference period. The first version of the electricity price questionnaire for households for the 2nd semester of 2020 was sent 90 days after the reference period. The first version of the electricity price questionnaire for households for the 1st semester of 2021 was sent 91 days after the reference period. The first version of the electricity price questionnaire for households for the 2nd semester of 2021 was sent 90 days after the reference period. The first version of the electricity price questionnaire for non-households for the 1st semester of 2019 was sent 88 days after the reference period. The first version of the electricity price questionnaire for non-households for the 2nd semester of 2019 was sent 90 days after the reference period. The first version of the electricity price questionnaire for non-households for the 1st semester of 2020 was sent 90 days after the reference period. The first version of the electricity price questionnaire for non-households for the 2nd semester of 2020 was sent 90 days after the reference period. The first version of the electricity price questionnaire for non-households for the 1st semester of 2021 was sent 91 days after the reference period. The first version of the electricity price questionnaire for non-households for the 2nd semester of 2021 was sent 90 days after the reference period. |
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14.1.2. Time lag - final result | |||
The final versions of the electricity price questionnaire for both household and non-household consumers for the first semester of 2019 were sent 297 days after the reference period, 209 days after the first versions and 205 days after the mandatory deadline. The final versions of the electricity price questionnaire for both household and non-household consumers for the second semester of 2019 were sent 533 days after the reference period, 443 days after the first versions and 443 days after the mandatory deadline. The reason behind the delays was that the 2019 questionnaires were the first ones to be sent after the derogation granted by the Commission Implementing Decision (EU) 2018/1734 granted to the Kingdom of Spain expired. Because of this, Spain had to implement changes in data gathering and data treatment methodologies. These new methodolgies were first applied in 2019 and after a review was carried out, errors were detected in the reports for both the first and second semester of 2019.
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14.2. Punctuality | |||
The legal deadline for submitting the questionnaires is the third month after the reference period has finished. In 2019, 2020 and 2021 all first version of the price questionnaires for both household and non-household consumers were delivered on time. For both the 2020 and the 2021 this first version was the final version of the reports, but there were errors in both 2019 qustionnaires which required correction. the final version of the 2019 quuestionnaires were sent after the mandatory deadline, because these mistakes were discrivered at a later date than that of the respective deadlines. |
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14.2.1. Punctuality - delivery and publication | |||
In 2019, 2020 and 2021 all the first version of price questionnaires for both household and non-household consumers were delivered on time. There had been a change in the methodology applied in 2019 and after a review of the reports, errors were detected in the reports for both the first and second semester of 2019.
As explained in point "8.1. Release calendar" there is not a preannounced calendar, so no comment on publication punctuality can be added. |
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15.1. Comparability - geographical | |||
Since the Kingdom of Spain has been granted a derogation from producing statistical data for reference years 2017 and 2018 related with Point 5(a) and 5(b) of Regulation (EU) 2016/1952, the price statistic data submitted by Spain follows the former Directive 2008/92/EC and does not follow Regulation (EU) 2016/1952 of the European Parliament and of the Council. (See: Commission Implementing Decision (EU) 2018/1734 of 14 November 2018 granting derogations to the Federal Republic of Germany, the Kingdom of Spain, the Italian Republic and the Republic of Cyprus as regards the provision of statistics pursuant to Regulation (EU) 2016/1952 of the European Parliament and of the Council) Comparability is thus limited for these years since price components and sub-components for these years do not follow exactly the same criteria as the information that has come after. From 2019 the derogation is no longer in force. From this moment data meets in full the requiremente set in Regulation (EU) 2016/1952, so it is comparable to the data submitted by other countries to Eurostat Nonetheless, the geographical reference area for the data has been the whole country since the moment electricity price data for Spain has been available, which began in 2003. |
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15.1.1. Asymmetry for mirror flow statistics - coefficient | |||
Not applicable. |
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15.2. Comparability - over time | |||
There have not been any changes in the underlying statistical process during 2019 and 2021. The same statistical process and the methodologies empolyed in the data gathering and treatment used have been ithe same for the reference period of this report. Nonetheles this has not been the case for previous data. For 2017 and 2018 the Kingdom of Spain was privy to article 1 of the Commission Implementing Decision (EU) 2018/1734 of 14 November 2018 granting derogations to the Federal Republic of Germany, the Kingdom of Spain, the Italian Republic and the Republic of Cyprus as regards the provision of statistics pursuant to Regulation (EU) 2016/1952 of the European Parliament and of the Council. This decision granted the Kingdom of Spain a derogation from producing statistical data for reference years 2017 and 2018 related with Points 5(a) and 5(b) of Annex II of Regulation (EU) 2016/1952. This provision affected the three main components and the sub-components on network prices and on taxes, fees, levies and charges for electricity prices, as well as to the three-level breakdown of these electricity prices. Thus, price statistic data submitted by Spain currently follows Directive 2008/92/EC.
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15.2.1. Length of comparable time series | |||
Electricity prices data for Spain are comparable since 2003. |
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15.3. Coherence - cross domain | |||
Not applicable. |
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15.3.1. Coherence - sub annual and annual statistics | |||
Not applicable. |
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15.3.2. Coherence - National Accounts | |||
Not applicable. |
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15.4. Coherence - internal | |||
Annual prices are coherent with the semestrial prices. Article 5 of Orden TED/456/2021, de 29 de abril sets the criteria that suppliers that are part of the survey have to use for the data they provide, making sure that data related to volumes of energy and number clients for the annual and biannual prices are coherent. |
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Data is sent by companies in XML files (see point "18.3 Data collection") to the Ministry using the PRICE application mentioned previously in point "10.3. Dissemination format - online database" of this report. The reporting process requires that price data is submitted by a valid representative using digital certificate. Furthermore, Excel templates for suppliers are available in the PRICE website in order to make data reporting as simple as possible. In order to determine the cost and burden of complying with the regulation of price reports, the Standard Cost Model (SCM) is used. Under current reuglation (Orden TED/456/2021), suppliers who are under the obligation to prived price data face the following administrative burdens:
According to the Standard Cost Model (SCM) these two administrative burdens have an average unit cost of:
This unit cost is multiplied by the requency of reports, which is biannual. Therefore, the annual unit cost for any supplier that is under the obligation to report information in the Kingdom of spain is:
Taking into account that, approximately, based on the current composition of the electricity market, the number of suppliers thta are under the obligation to report price data is approximately forty, the total annual estimated cost is of €85,120/year. Cost and burden cannot be accuratley estimated for the Ministry for the Ecological Transition and the Demographic Challenge. |
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17.1. Data revision - policy | |||
Data revision is done internally. There are two phases in which data is revised. The first phase takes place when raw data is received from suppliers. The processes and checks carried out during this phase are described in point "18 Statistical processing" of this report, in particular point "18.4 Data validation". They can be generally described as:
The second phase is related to the processed data. Any calculations associated with data processing are double-checked by someone different from the person who carries out the procedure. Thus the final output is validated before its remission to Eurostat and its release in any other forum as described in points 8 to 10 of this report. |
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17.2. Data revision - practice | |||
As stated in point "17.1 Data revision - policy" a series of checks on data and the methods used to process it are carried out before price information is sent to Eurostat. There are not any fixed dates for these revisions since suppliers will not always report following a calendar. Furthermore, there is another type of revision carried out whenever a supplier informs the Ministry of errors in the data it has previously submitted. These errors can take place before or after the period for data reporting is closed. If the period is still open, the supplier only has to upload the correct data. However, if the period is closed then it has to inform the Ministry of the error and provide the correct data. This error could even be detected after the Kingdom of Spain has sent to Eurostat its price report, and therefore any corrections that would have to be made would also be sent to Eurostat, even if it is outside Spain's deadline in relation to Eurostat. |
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17.2.1. Data revision - average size | |||
Data revision is carried out on all data used in the survey. When a supplier has informed the Ministry of mistakes and errors on the data it has submitted, the Ministry carries out the same checks and validations on the new information. Household electricity prices collection: 0.011311562 Non-household electricity prices collection: 0.014135221 |
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18.1. Source data | |||
Data sources for electricity price statistics are electricity suppliers that operate in Spain, as explained in points "3.6 Statistical population" and "6.1 Institutional Mandate - legal acts and other agreements". The regulatory change of 2021 that took place at national level mentioned in point "6.1. Institutional Mandate - legal acts and other agreements" has had an effect on the number of suppliers that have to provide information. For 2019 and 2020 all electricity suppliers that legally operate in the Kingdom of Spain were under the obligation to provide price data in the form and time set in "Orden ITC/606/2011, de 16 de marzo, por la que se determina el contenido y la forma de remisión de la información sobre los precios aplicables a los consumidores finales de electricidad al Ministerio de Industria, Turismo y Comercio" (see articles 1 and 2 of this regulation) For 2021 the statistical population was formally set, being made up of 46 of all the electricity suppliers that legally operated in the Kingdom of Spain. This statiscla population was established followinf the criteria and processes set under articles 2 and 3 of "Orden TED/456/2021, de 29 de abril, por la que se determina el contenido y las condiciones de remisión al Ministerio para la Transición Ecológica y el Reto Demográfico de la información sobre los precios aplicados a los consumidores finales de electricidad". |
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18.2. Frequency of data collection | |||
For 2019 and 2020, data collection was carried out by the Kingdom of Spain biannually. Article 2 of Orden ITC/611/2011 (see point "6.1 Institutional Mandate - legal acts and other agreements") established that before 45 natural days have passed after the end of reference period, electricity suppliers must have sent price information to the Ministry for the Ecological Transition adn the Demographic Challenge. Since reference periods covered the semesters of January-June and July-December and the year in question, price data referral was carried out at the latest on the following dates:
Meanwhiler, for 2021, data collection is carried out by the Kingdom of Spain biannually. Article 7 of Orden TED/456/2021 (see point "6.1 Institutional Mandate - legal acts and other agreements") establishes that before 45 natural days have passed after the end of reference period, electricity suppliers must send price information to the Ministry for the Ecological Transition. Since reference periods cover the semesters of January-June and July-December and the year in question, price data referral is carried out at the latest on the following dates:
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18.3. Data collection | |||
PRICE is the application that the Ministry for the Ecological Transition uses to gather data from electricity suppliers. Suppliers must fill a series of questionnaires/templates which they then upload into the PRICE application. These questionnaires are in XML (eXtensible Markup Language) format and the fields included in them are: number of clients, capacity, energy supplied billed for the reference period an prices. The energy billed is divided by components following Directive 2008/92/EC as explained in point "15.1 Comparability - geographical" of this report. The questionnaires used by suppliers are annexed. The PRICE application has an item non-response validation on certain of the items. If certain fields in the questionnaires are not filled, when the supplier tries to upload them, this is not allowed by the application and a warning message is sent back. This message details the empty fields that make the questionnaire invalid. Other validations are carried out after the data has been collected, as described in point 18.4 of this report. Annexes: Template that suppliers used to submit non-household consumer price data for each semester in 2019 and 2020 Template that suppliers use to submit household consumer price data for each semester in 2019 and 2020 Template that "suppliers of last resort" use to submit household consumer price data for each semester in 2019 and 2020 Template that suppliers use to submit non-household consumer price data for the year in 2019 and 2020 Template that suppliers use to submit household consumer price data for the year, including "suppliers of last resort" in 2019 and 2020 Template that suppliers use to submit non-household consumer price data for each semester from 2021 onwards Template that suppliers use to submit household consumer price data for each semester from 2021 onwards Template that suppliers use to submit non-household consumer price data for annual prices from 2021 onwards Template that suppliers use to submit household consumer price data for annual prices form 2021 onwards |
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18.4. Data validation | |||
Data validation is carried in several phases. The first phase is a preliminary check that makes sure that the data submitted is in the correct format. PRICE checks that the supplier has filled the different fields in the XML questionnaires with information that meets the correct requirements. These cover format (such as number/text/etc.) and content (length of text, certain unique values that can only be included in a field, fields that cannot be left empty, etc.). If any error is detected by the application then it is rejected, a warning is sent to the supplier and the error must be corrected and submitted again by the supplier. The next phase of validation takes place once the data has been uploaded into and accepted by the PRICE application. This next phase checks for certain inconsistencies in the data by comparing it with that submitted by the same supplier on previous occasions. These inconsistencies may surface in some of the following forms:
When outlier values such as these are detected, the Ministry asks for clarification and, when necessary, for the supplier to send a new questionnaire with the correct data. There is another validation in this phase that is done by comparing data from the actual reference period with that of the previous one from that same supplier. Unusually large variations raise a warning flag and clarification and correction may also be asked if these inconsistences are detected. The threshold to establish whether variations are unusually large or not is set at 10% (article 9 of Orden TED/456/2021, de 29 de abril). Another check that is centred on price evolution is made by comparing final price evolution with other relevant data. This comparison is made between the variation between actual and previous reference period data for one supplier with that same evolution for wholesale electricity market prices. Finally it is necessary to mention that PRICE leaves open the door for data correction, when errors are detected by the suppliers themselves. While the period for data submission is open, if an error is detected, the supplier only has to upload the correct data once again into the application. If the error is detected at a later date, the supplier gets in contact with the ministry via e-mail. |
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18.5. Data compilation | |||
Data compilation process is carried out in the following steps. Once data is received it is validated following the processes and checks and verifications described in point 18.4 of this report. The final data extracted is the price for each of the levels (1,2 and 3, as described in point "3.4 Statistical concepts and definitions" of this report) and total energy supplied by the each respondent (i.e. supplier). Prices and energy are divided by bands of consumption. Having this data for all suppliers of the statistical population that have responded, then the Ministry proceeds to obtain the weighed price average for each band of consumption using as factor the energy supplied by each supplier in relation to the total amount of energy supplied by all suppliers in that band of consumption. This process is carried for both biannual and annual prices. However annual prices require another layer of processing. Using as a starting point the 3 price levels obtained so far, the tax component is obtained by the difference between level 3 and level 2 prices, which provides the concept "All other taxes", Then the difference between levels 2 and 1, provides the concept "VAT". The reason behind this is that, at present, costs are internalised in the electricity bill in such a way that only these two taxes can be obtained. This is one of the underlying reasons that motivated the granting of Commission Implementing Decision (EU) 2018/1734 of 14 November 2018 granting derogations to the Federal Republic of Germany, the Kingdom of Spain, the Italian Republic and the Republic of Cyprus as regards the provision of statistics pursuant to Regulation (EU) 2016/1952 of the European Parliament and of the Council (notified under document C(2018) 7465). One of the reasons behind the need for the granting of this Commission Implementing Decision is that during this time charges in Spain covered not only network costs but also renewable programs, capacity allocation and other costs such as nuclear that in other countries are clearly differentiated in the consumers bill. That is the reason that these costs are said to be internalised in the bill, and have to be estimated. From the total that is included in level 1 prices, Spain estimated how much corresponded to energy and supply and how much were in faci network costs. This was done in two steps. The first on took into account that network charges structure in Spain did not have a direct correlation with the different bands of consumption established by Eurostat. Consumers that were applied one network charge had to be included in one or other band of consumption, and for this their average consumption was obtained. The second one was the process employed to determine the components of network costs and energy and supply. Using as a starting point Level 1 prices, it was necessary to establish the weight that network charges had in this amount. This has changed with the new regulation. On the one hand, network costs have been specifically set by the spainsh NRA and the rest of the conpceto prevoiusly included in ntwor tariiffs are now set as charges in a different regulation. This has elimianitaed the need to mek use of estimates and aproximations and reduced uncertainty and error in the data sent Euorstat TCurrently all network costs save network losses are included in what is termed as "peajes". Network losses are included in the information suppliers for the "Energy and supply concept". Thus network losses must be extracted for this concept and properly included in the network cost component. From the TSO we reecive information on the precentage of nteowrk losses for different voltages of the grids. We use as a ratio the percentage of losses and apply to the energy and supply componente once all other compeonents and subcompenents have been extracetd form it. The end result is that annual prices show the following components:
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18.5.1. Imputation - rate | |||
Not available. |
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18.6. Adjustment | |||
Not applicable. |
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18.6.1. Seasonal adjustment | |||
Seasonable adjustments are not carried out. |
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