Agenda Corporate Governance and Human Resources Committee
Transcription
Agenda Corporate Governance and Human Resources Committee
Agenda Corporate Governance and Human Resources Committee May 1, 2014 | 2:00 p.m. - 3:00 p.m. Eastern Participant Dial-In: 1-800-897-4057 Call to Order and Chair’s Remarks NERC Antitrust Compliance Guidelines Agenda 1. Minutes* — Approve a. March 20, 2014 Meeting 2. Form 990** — Review 3. 2014 Q1 Corporate Goals Update* — Review 4. Compliance Committee Mandate* — Approve 5. Staffing and Recruiting Update* — Review 6. Adjournment *Background materials included. **Supplemental materials to be provided. Antitrust Compliance Guidelines I. General It is NERC’s policy and practice to obey the antitrust laws and to avoid all conduct that unreasonably restrains competition. This policy requires the avoidance of any conduct that violates, or that might appear to violate, the antitrust laws. Among other things, the antitrust laws forbid any agreement between or among competitors regarding prices, availability of service, product design, terms of sale, division of markets, allocation of customers or any other activity that unreasonably restrains competition. It is the responsibility of every NERC participant and employee who may in any way affect NERC’s compliance with the antitrust laws to carry out this commitment. Antitrust laws are complex and subject to court interpretation that can vary over time and from one court to another. The purpose of these guidelines is to alert NERC participants and employees to potential antitrust problems and to set forth policies to be followed with respect to activities that may involve antitrust considerations. In some instances, the NERC policy contained in these guidelines is stricter than the applicable antitrust laws. Any NERC participant or employee who is uncertain about the legal ramifications of a particular course of conduct or who has doubts or concerns about whether NERC’s antitrust compliance policy is implicated in any situation should consult NERC’s General Counsel immediately. II. Prohibited Activities Participants in NERC activities (including those of its committees and subgroups) should refrain from the following when acting in their capacity as participants in NERC activities (e.g., at NERC meetings, conference calls and in informal discussions): • Discussions involving pricing information, especially margin (profit) and internal cost information and participants’ expectations as to their future prices or internal costs. • Discussions of a participant’s marketing strategies. • Discussions regarding how customers and geographical areas are to be divided among competitors. • Discussions concerning the exclusion of competitors from markets. • Discussions concerning boycotting or group refusals to deal with competitors, vendors or suppliers. • Any other matters that do not clearly fall within these guidelines should be reviewed with NERC’s General Counsel before being discussed. III. Activities That Are Permitted From time to time decisions or actions of NERC (including those of its committees and subgroups) may have a negative impact on particular entities and thus in that sense adversely impact competition. Decisions and actions by NERC (including its committees and subgroups) should only be undertaken for the purpose of promoting and maintaining the reliability and adequacy of the bulk power system. If you do not have a legitimate purpose consistent with this objective for discussing a matter, please refrain from discussing the matter during NERC meetings and in other NERC-related communications. You should also ensure that NERC procedures, including those set forth in NERC’s Certificate of Incorporation, Bylaws, and Rules of Procedure are followed in conducting NERC business. In addition, all discussions in NERC meetings and other NERC-related communications should be within the scope of the mandate for or assignment to the particular NERC committee or subgroup, as well as within the scope of the published agenda for the meeting. No decisions should be made nor any actions taken in NERC activities for the purpose of giving an industry participant or group of participants a competitive advantage over other participants. In particular, decisions with respect to setting, revising, or assessing compliance with NERC reliability standards should not be influenced by anti-competitive motivations. Subject to the foregoing restrictions, participants in NERC activities may discuss: • Reliability matters relating to the bulk power system, including operation and planning matters such as establishing or revising reliability standards, special operating procedures, operating transfer capabilities, and plans for new facilities. • Matters relating to the impact of reliability standards for the bulk power system on electricity markets, and the impact of electricity market operations on the reliability of the bulk power system. • Proposed filings or other communications with state or federal regulatory authorities or other governmental entities. Matters relating to the internal governance, management and operation of NERC, such as nominations for vacant committee positions, budgeting and assessments, and employment matters; and procedural matters such as planning and scheduling meetings. NERC Antitrust Compliance Guidelines 2 Agenda Item 1.a Draft Minutes Corporate Governance and Human Resources Committee March 20, 2014 | 1:00 p.m. – 1:30 p.m. Eastern Conference Call Call to Order and Chair’s Remarks Jan Schori, Chair, convened a duly noticed meeting of the Corporate Governance and Human Resources Committee (the “Committee”) of the North American Electric Reliability Corporation (“NERC”) on March 20, 2014 at 1:02 p.m. Eastern, and a quorum was declared present. The agenda is attached as Exhibit A. Present at the meeting were: Committee Members: Jan Schori, Chair Robert G. Clarke Frederick W. Gorbet Kenneth G. Peterson Bruce Scherr Board of Trustees Members: Paul F. Barber Gerald W. Cauley, President and Chief Executive Officer David Goulding Roy Thilly NERC Staff: Charles A. Berardesco, Senior Vice President, General Counsel, and Corporate Secretary Thomas Burgess, Vice President and Director of Reliability Assessment and Performance Analysis Mark Rossi, Senior Vice President, Chief Operating Officer Janet Sena, Senior Vice President, Director of Policy and External Affairs Brady Walker, Associate Counsel Michael Walker, Senior Vice President, Chief Financial and Administrative Officer, and Corporate Treasurer NERC Antitrust Compliance Guidelines Ms. Schori directed the participants’ attention to the NERC Antitrust Compliance Guidelines included with the agenda materials. Minutes Upon motion duly made and seconded, the February 5, 2014 meeting minutes were approved in the form as presented to the Committee at the meeting. 2014 Performance Metrics Following discussions at the Committee’s February meeting, approval of the metrics was delayed until this meeting so that comments from stakeholders could be considered by NERC Management and the Committee members. Mr. Cauley provided a summary of the comments received and highlighted the importance of the public input process which created an opportunity to improve and strengthen the metrics. Mr. Rossi reviewed the specific improvements and revisions that resulted from discussions with stakeholders. His presentation included a discussion of sub-metric A, which was adopted upon a recommendation from the Standards Committee. With regard to sub-metric A, the Standards Committee and NERC Staff will work together to develop a periodic review process for steady state Reliability Standards. The process will include a quality and content review and the use or adaptation of the 2013 Independent Expert Review Team’s quality and content scoring system will be considered during development. The review will be conducted by a cross-functional task force that will consist of Committee chairs, NERC management, NERC and stakeholder subject matter experts, and other parties as deemed necessary and appropriate. This review may also be incorporated into the current Standards Processes Manual periodic review process to avoid duplication of effort. So that the task force will be able to identify Reliability Standards for inclusion in the 2016-2018 Reliability Standards Development Plan, the task force will be operational no later than mid-2015 to allow ample time for the development of the annual task force review timeline. Committee members engaged in an active discussion of the metrics. Upon motion duly made and seconded, the Committee approved the 2014 Performance Metrics for compensation purposes and recommended Board approval of the metrics as they relate to the ERO Strategic Plan. Adjournment There being no further business, and upon motion duly made and seconded, the meeting was adjourned at 1:40 p.m. Eastern. Submitted by, Charles A. Berardesco Corporate Secretary 2 Agenda Item 3 Corporate Governance and Human Resources Committee Open Session May 1, 2014 ERO Enterprise and Corporate Performance Metrics – Quarter 1 Status Action Information Background On February 6, 2014 the NERC Board of Trustees approved the ERO Enterprise Strategic Plan for the 2014-2017 planning period and deferred approval of the proposed ERO performance metrics for 2014. Following the February meetings in Phoenix, NERC and Regional Entity staffs refined four overarching performance metrics for 2014, designed to assess the overall effectiveness of the enterprise in addressing risk to the bulk electric system (BES) and improving BES reliability, and presented those metrics to the committee on March 20th. The committee approved the ERO Enterprise performance metrics for 2014 and requested a quarterly status update throughout the remainder of the calendar year. Summary Gerry Cauley, president and chief executive officer of NERC, will provide a summary of the first quarter results of the committee-approved performance metrics. Enclosed Attachment 1. 2014 ERO Enterprise and Corporate Metrics –Quarter 1 Status Report Corporate Governance and Human Resources Committee 2014 Quarter 1 Status ERO Enterprise Metric 1: Reliability Results Measure of success Determine the frequency and severity of BPS events, excluding weather, flood, or earthquake. The target is fewer, less severe events during 2014‐2017; no Category 4 and 5 events and Category 1‐ 3 events are trending down. Threshold Target No Category 4 or 5 events (10%); The cumulative trend line in the composite Daily “event Severity Risk Index” (eSRI) for Category 1‐3 events remains flat or negative.* (10%) No Category 4 or 5 events occurred in Q1. Composite Category 1‐3 events trend line slope has decreased slightly (data currently in second and independent review). *Measured for the period beginning 1/1/2011 to‐date, includes days with zero events, and excludes: category 4 and 5 events, events caused by natural phenomenon, and AESO islanding. Target Gap analysis of standards and ERO compliance monitoring implementation complete and recommendations identified within 90 days. Zero gaps, or closure of any standards or compliance gaps identified within one year of event unless a technical study is needed. ERO Enterprise Metric 3: Risk Mitigation Effectiveness Measure of success Threshold Status of Key Activities at Q1 Target Status of Key Activities at Q1 Stated threshold deliverables achieved for each risk project. Stated target deliverables achieved for each risk project. No Category 3 events occurred in Q1. Review the BES risk profile each year to determine actual and potential risks. The target is to identify, select and mitigate the high priority risks (and issue specific metrics for each established project). Status of Key Activities at Q1 ERO Enterprise Metric 2: Assurance Effectiveness Measure of success Threshold Assess all Category 3 and above events. The target is to reach zero gaps in Reliability Standards and compliance monitoring by 2017. See individual project status below. 1 05.01.2014 Corporate Governance and Human Resources Committee Measure of success 1. 2. 3. Changing Resource Mix Extreme Physical Events Protection System Misoperations Threshold 4. Cold Weather Preparedness Completed whitepaper and sent to PC for final review. Formed joint OC/PC task force to perform assessment. Whitepaper planned for presentation at upcoming MRC/BOT meetings in May. Board approval of Phase 1 Special Assessment of Essential Reliability Services before yearend 2014. GMD Stage 2 Standard (Project 2013‐ 03, TPL standard) approved by industry ballot before yearend 2014. GMD Stage 2 Standard (Project 2013‐03, TPL standard) approved by Board and filed with regulators by yearend 2014. GMD Stage 2 Standard under development. SDT formed and SAR posted. Standard will post in Q2. Physical security standard, if directed by FERC, approved by Board and filed with regulators by directive deadline. Physical Security Standard and RSAW under development. SDT formed, SAR posted and SC approved waivers. PRC‐004‐3 Protection System Misoperations (Project 2010‐ 05.1) approved by industry ballot before the end of 2014. PRC‐004‐3 Protection System Misoperations (Project 2010‐05.1) approved by Board and filed with regulators before yearend 2014. Additional ballot posted for PRC‐004‐3 Standards. Work with North American Transmission Forum to identify 2 major contributors to misoperations that lead to system events before yearend 2014. Face‐to‐face meeting with NATF is in the process of being scheduled for Q2 to discuss misoperation trends, review data and develop plan to identify contributors to misoperations that lead to system events. Review effectiveness of 2011 cold snap recommendations, lessons learned, and related Operating Committee guidelines, prepare a report on any remaining gaps. Develop composite long‐term metric and develop industry actions to address identified contributors to misoperations that lead to system events. Perform analysis, including the use of GADS data, to evaluate industry performance during 2012‐2014 cold weather events and identify further recommendations for cold weather response, if applicable. Status of Key Activities at Q1 Publish Essential Reliability Services whitepaper and deliver Phase 1 Special Assessment of Essential Reliability Services to executive management before yearend 2014. Target NERC OC has begun work on updating the Reliability Guideline based on information and data from January Polar Vortex weather phenomenon. Lagging from Q1 milestone: Survey plan development scheduled for Q1, was deferred to Q2. No anticipated issue to complete by year end. 2 05.01.2014 Corporate Governance and Human Resources Committee 5. 6. Right of Way Clearances 345 kV Breaker Failures Complete analysis of facility ratings data reported and identify gaps. Develop site visit plan and initiate site visits to assess clearance mitigation. Reports to NERC board at February and August 2014 meetings showing mitigation efforts, joint with NATF, NAGF, and others. Complete a report, jointly with NATF, detailing an approach for developing best practices and a sustainable program for maintaining right‐of‐way clearances. Complete site visit assessments for entities with significant high and medium priority line discrepancies Mean time to failure trending longer for failure of 345 kV HPI Series “single break” SF6 gas circuit breakers due to separation of the Teflon nozzle caused by incorrect torqueing of hardware. Posted Facility Ratings Assurance best practices white paper. Lagging from Q1 milestone: Planned to start in Q2. Detailed analysis of final data not complete; o 10 entities still remediating high priority lines. o 41 entities still remediating medium priority lines. o No anticipated issue to complete by year end. o Site plan developed in Q2. Site visits in Q3. NATF report provided for February Board package. Posted Facility Ratings Assurance best practices white paper in Q1. As of March 31st, mean time between failures has increased from 4.2 to 6.7 months with no new failures. 3 05.01.2014 Corporate Governance and Human Resources Committee ERO Enterprise Metric 4: Program Execution Effectiveness Measure of success Threshold Sum of the weighted sub‐ metrics. Sub‐metric A (Primary NERC) ‐ Percent of all board‐approved standards1 meet quality criteria and results‐based construct Continued application of the 2014‐2016 Reliability Standards Development Plan during 2014: Board adopted Reliability Standards for GMD (Stage 2)*, COM‐002‐4, and Stable Power Swings. * Credit will be counted in Metric 3, Item 2 Sub‐metric B Target The approach for the periodic review of steady state Reliability Standards is developed by NERC Staff and the Standards Committee and reviewed with stakeholders. 70% of Target complete. (Primary NERC) ‐ Quality, up‐ to‐date Reliability Standard Audit Worksheets, or any successor guidance, developed for board‐approved Reliability Standards Threshold met plus Final Ballot reached for two of the following: PRC‐004‐3, TOP/IRO, and CIP (two time‐sensitive directives). The approach and any needed changes to the Standard Processes Manual (SPM) required for the periodic review of steady state Reliability Standards developed by NERC Staff and the Standards Committee, with stakeholder input, ready for Board approval in the fourth quarter of 2014. Status of Key Activities at Q1 See individual sub‐metric status below. Stable Power Swing SAR (Target: TOP/IRO and CIP SAR) posted. TOP/IRO: TOP/IRO SAR posted – see project page. Two technical conferences held in March – slides posted on project page. PRC‐004‐3, Misoperations: Additional ballot posted on 1/17 for comment and ballot – see project page. Periodic Review Approach: In March, Standards Committee (SC) formed group and scope was approved. Group met twice in March. See SC agenda, item 5. CIP progress: SAR posted. See project page for details. Two technical conferences held: Phoenix, Summary for details. Every standard that goes to ballot will have a Posted following RSAWs for balloted posted RSAW alongside. Every standard that standards: is reviewed as part of the 5 year review cycle Project 2010‐05.1 Protection System on will have a current up‐to‐date RSAW or 2/18. successor. Project 2013‐04 Voltage and Reactive Control (VAR‐002) on 2/27. Project 2010‐04 Demand Data (MOD C) on 2/25. 1 Regional standards are not included, this applies to NERC only. 4 05.01.2014 Corporate Governance and Human Resources Committee Sub‐metric C (Joint ERO Enterprise) – Implementation of risk‐based registration criteria to achieve efficient and effective allocation of compliance obligations. Registration is commensurate with risk and RAI and in light of new BES definition and is implemented Sub‐metric D Assessment complete with recommended framework and registration criteria. Implementation plan complete. Both documents presented to the Board by yearend 2014. ERO Enterprise caseload index less than or equal to 8 months; 70% ERO Enterprise caseload index less than or equal to 7 months, with all Regional Entities above average trending downward. Survey conducted and responses assessed. Industry Advisory Group stood‐up and two meetings held. Draft whitepaper developed for program design. (Joint ERO Enterprise) – Timeliness and transparency Number of active possible of compliance results: 12 violations preceding January 1, month rolling average of the 2013 is 65, excluding those held ERO Enterprise caseload index by appeal, regulator, or court trending favorably.2 Maximum Baseline 2013 = Caseload index = 7.3 age of unclosed cases is less months than 24 months and improving Sub‐metric E Assessment complete with recommended framework and registration criteria. Implementation plan complete. Both documents approved by the Board by yearend 2014. (Joint ERO Enterprise) ‐ Mitigation aging curve improving ERO caseload index is 7.4 months. Pre‐2013 caseload includes 337 active violations (excludes violations on hold by appeal, regulator or court). Number of active possible violations preceding January 1, 2013 is 0, excluding those held by appeal, regulator, or court 75% 89% (Joint ERO Enterprise) ‐ Percent of self‐identified non‐ compliances (includes self‐ reports and self‐certifications) Sub‐metric F Percentage of the noncompliance items discovered in that year that are mitigated (as of December 31, 2014) Percentage of the noncompliance items discovered in that year that are mitigated (as of December 31, 2014) 2013: 75% 2013: 80% 2012: 90% 2012: 95% 2011: 95% 2011: 98% 2010 (and older): 98% 2010 (and older): 100% 2013: 49%, 2012: 83%; 2011: 93%; 2010: 99% ERO Enterprise Caseload Index is the rate at which the ERO processes violations and is defined as the annual ERO Inventory (defined as Active violations that have not been filed with FERC multiplied by 12) divided by the total number of violations completely processed (NOPs, SNOPs, FFTs and Dismissals) over the previous 12‐months. 2 5 05.01.2014 Corporate Governance and Human Resources Committee Sub‐metric G (Joint ERO Enterprise) ‐ RAI reforms ERO auditor handbook training completed; RAI compliance design completed; RAI enforcement pilots completed and analysis completed; Average time from discovery to decision to enforce or not (i.e. the triage process) is 75 days; and Train at least one partner entity to complete maturity model assessments and complete either directly or through trained partners 15 maturity model assessments. Sub‐metric H (Primary NERC) ‐ Participation in ES‐ISAC increased (2013 statistics used as Baseline) ERO auditor handbook deployment; RAI compliance design complete and reflected in the CMEP implementation plan for 2015; Rollout of handbook at Auditor Workshop has been completed. RAI enforcement pilots completed and FERC filings made, if required; Assessments of each pilot completed; evaluation team and evaluation criteria reviewed with advisory group. 99% of noncompliance discovered in 2014 has gone through triage within 60 days. However, 3 months data is not sufficient to establish a trend. Average time from discovery to decision to enforce or not (i.e. the triage process) is 60 days; and Train at least two partner entities to complete maturity model assessments and complete either directly or through trained partners 20 maturity model assessments. 85% of all RCs and TO/TOPs; 90% of all RCs and TO/TOPs; 5% increase in enrollment of all other registered entities; 10% increase in enrollment of all other registered entities; 429 of RC/TO/TOP on portal, representing 84% of total. 5% in information share activity level (baseline 2013 uploads figures); and 1514 users (1/4/14); 1695 users (4/9/14); a 9% increase. Develop an ES‐ISAC mission performance program, including Key Performance Indicators (KPIs) and benchmarks, by EOY. 20% increase in information share activity on portal (baseline 2013 uploads figures); and Develop an ES‐ISAC mission performance program, including KPIs and benchmarks, by end of Q3. Baseline 2013 = • 80% of RCs and TO/TOPs. • 51% of all other registered entities. 6 05.01.2014 Corporate Governance and Human Resources Committee Sub‐metric I (Joint ERO Enterprise) – Assessment of quality and availability of planning and engineering models and data Develop metric to evaluate the accuracy of power flow and dynamic models. Evaluate the draft metric using actual models from at least two interconnections by yearend and recommend changes, if needed. Sub‐metric J Report quarterly progress and achieve Report quarterly progress on achieving the 20% of the total action items set forth following in 2014, which represents 25% of (Joint ERO Enterprise) – the total action items set forth in the in the oversight model whitepaper. Achieving transition laid out in oversight model whitepaper: oversight model regarding ERO Enterprise personnel and i. ERO EMG develops a roadmap to ERO Enterprise (NERC and implement an oversight model that is Regional Entity) infrastructure consistent with the principles set and applications forth in the white paper [Action Item (AI) #1] ii. iii. iv. ERO EMG endorses auditor qualifications and competency guidelines and timetable for implementation [AI #1] vi. ERO EMG approves an updated ERO Enterprise technology roadmap to meet its needs over the next 5 years. [AI #9] ERO EMG develops and implements an intra‐ERO communication plan to improve staff communications regarding ERO Enterprise initiatives i. Draft ERO Enterprise roles and responsibilities document under review. ii. Auditor qualifications and competencies guide endorsed. iii. Plan to review Regional Delegation Agreements underway. iv. ERO EMG reviews strategic plan and endorses performance metrics for 2015 by year end [AI #4 and #5] RAI design is completed and an implementation timetable is finalized [AI #8] Designated system events for each interconnection to use in model and data validation. ERO EMG develops a plan to review the Regional Delegation Agreements, including a timetable and potential areas that may require amendment [AI #3] v. vii. Review of strategic plan and metrics for 2015 to begin in Q3. v. RAI design completion efforts on track. Refer to Sub‐metric G for current status. vi. Technology roadmap under development. vii. Communication plan under development. 7 05.01.2014 Corporate Governance and Human Resources Committee and to manage communications during critical events [AI #10] Sub‐metric K (Joint ERO Enterprise) – Stakeholder annual satisfaction/perception survey of the ERO’s effectiveness to manage risk, budget and stewardship Develop questionnaire with stakeholder input and vetting but not implemented and benchmarked. Develop questionnaire with stakeholder input and vetting. Survey complete and benchmarks established. Planned to start in Q3. 8 05.01.2014 Agenda Item 4 Corporate Governance and Human Resources Committee Open Session May 1, 2014 Revisions to Board of Trustees Compliance Committee Mandate Action Approve Summary The Board of Trustees Compliance Committee (BOTCC) proposes revisions to its mandate to change the frequency of BOTCC meetings to eight Executive Session meetings and four Closed meetings per year, along with other ministerial revisions. The Closed meetings would be held along with the quarterly meetings to allow the BOTCC to meet in-person with the Regional Entity management. The CGHRC is responsible for recommending Board approval of the revised BOTCC mandate. Board of Trustees Compliance Committee Mandate Approved by Board of Trustees: May 97, 20122014 1. The Compliance Committee (CC) shall be composed of not less than three and not more than seven members of the Board of Trustees (board). 2. The members of the CC shall be appointed or reappointed by the board at the regular meeting of the board immediately following each Annual Meeting of the Members Committee. Each member of the CC shall continue to be a member thereof until a successor is appointed, unless a member resigns or is removed or ceases to be a trustee of the corporation. Where a vacancy occurs at any time in the membership of the CC, it may be filled by the board. 3. The Board of Trusteesboard or, in the event of their failure to do so, the members of the CC, shall appoint a chair from among their members. A member of the NERC staff shall serve as the nonvoting secretary. 4. The CC shall meet monthly at least quarterly by conference call or in person. Meetings may occur at the same place in conjunction with the regular board meetings of the corporation, or as determined by the members of the CC, using the same meeting procedures established for the board. 5. The CC shall review, in the aggregate or individually, as the CC deems necessary, the progress of violations, regardless of their status, known to the Compliance Monitoring and Enforcement Program staff as reported by regional entities, discovered by the NERC staff, or discovered from any other source. 6. The CC shall generally, in the aggregate, review at an open meeting, the progress of possible, alleged, and confirmed violations. 7. The CC shall review the progress of regional entities in processing all allegations of violations of NERC reliability standards in accordance with the NERC Rules of Procedure. 8. The CC shall serve as the appeal body for any appeals of compliance violations, penalties, or sanctions. 9. The CC shall serve as the appeal body for any appeals of findings resulting from audits of the regional entity implementation of the NERC Compliance Monitoring and Enforcement Program heard by the NERC Compliance and Certification Committee. 10. The CC shall oversee the preparation and filing by NERC Sstaff of Notices of Penalty or Sanction, Settlement Agreement, and Remedial Action Directive documents with FERC and other governmental authorities, and the CC may delegate authority to NERC Staff to dispose of CMEP matters subject to oversight by and terms and conditions set by the CC. 11. The CC shall hear any challenges by candidates for inclusion on the compliance registry. 12. The CC shall report to the board at each regularly scheduled meeting of the board. 13. The CC shall recommend to the board such actions as may further the purposes of the NERC Compliance Monitoring and Enforcement Program and Organization Registration and Certification Program. 14. The CC shall review this mandate annually and recommend to the board Corporate Governance and Human Resources Committee any changes to it that the CC considers advisable. 15. The CC shall complete a self-assessment annually to determine its effectiveness. 16. The CC shall perform such other functions as may be delegated from time to time by the board. Board of Trustees Compliance Committee Mandate Approved by Board of Trustees: May 97, 20122014 Agenda Item 5 Corporate Governance and Human Resources Committee Open Session May 1, 2014 Staffing and Recruiting Update Action Information Background Talent acquisition remains a core priority for the Human Resources (HR) department and a significant opportunity to augment the enterprise with hires with industry-leading technical competency and close alignment to NERC’s mission, core values, and consequent ability to make sustained contributions towards long-term objectives. Through use of best practices, HR continues to significantly enhance the quality and fit of talent while not exceeding approved budget for headcount. The period of January through March 2014 saw the exit of four (4) and hiring of eight (8) employees. Open, approved headcount in the 2014 budget remains a priority, and HR anticipates filling these roles with top talent in 2014 at or under budget. Below are descriptions of the eight (8) hires that have been completed from January 1 through March 31, 2014. Helpldesk Level 1, Helpdesk Services Travis Heyward joined the NERC staff in February as a Helpdesk Level 1, Helpdesk Services reporting to Jeff Hicks. Prior, Travis worked for McCurdy & Candler LLC in Atlanta Georgia for three years as the IT Helpdesk Analyst. Prior to that, he served at EchoStar Technologies as a Quality Assurance Software Technician. Travis has a Bachelor’s degree in Network and Communications Management from DeVry University. ES-ISAC Cybersecurity Specialist Carlo Castaneda joined the NERC staff in February as an ES-ISAC Cybersecurity Specialist reporting to Fredrick Hintermister. Carlo was a Program Analyst in the liaison and public information section of the Department of Justice (DOJ) where he ran the Department’s International Visitors Program. During his time with the DOJ, he also managed international assistance programs in Africa and the Middle East. Prior, Carlo served six years in a U.S. Marines reconnaissance unit. Carlo received his Bachelors of Science from the University of Maryland, College Park. He is a member of several area cyber security groups and the assistant organizer of the Maryland Applied Security Team. 1 Bulk Power System Awareness Engineer Warren Wu joined the NERC staff in February as a Bulk Power System Awareness Engineer reporting to Sam Chanoski. Prior, Warren was with TVA in Chattanooga, Tennessee where he was Specialist, Reliability Analysis and Operations. Warren has experience in planning and operation of transmission systems from utilities located in Texas, Georgia, and Tennessee. Warren has held positions as Manager, Transmission Reliability, and served as Reliability Coordinator managing transmission grid operations activities for TVA and five other companies, across portions of eleven states. Warren has an electrical engineering degree from Texas A&M University, and is a NERC certified Reliability System Operator. Senior Project Manager LaCreacia Smith joined the NERC staff in February as a Senior Project Manager reporting to Dee Hope. LaCreacia has worked with NERC and the PMO since December 2012 as a contract project manager. Prior to coming to NERC, she was a Sr. Manager in the Program Management Office for Recall, Inc. She has more than 18 years of project management experience, and has been a Certified Project Management Professional (PMP) from the Project Management Institute (PMI) for more than 14 years. She is also ITIL Foundation v3 certified and Green Belt Six Sigma trained. Her professional career has afforded her experience in documentation management, telecommunications, information technology and healthcare. LaCreacia holds a Bachelor’s of Science in Business Management from the University of Maryland-College Park and a Master’s Degree in Project Management with distinction from the Keller School of Management. Administrative Assistant Levetra Pitts joined the NERC staff in March as an Administrative Assistant reporting to Michal Walker. Levetra has been contracting with NERC since April 2013. Prior, she has served for various companies including WebMD, Piedmont Medical Corporate, and City Of Decatur. She has also worked at Bridgestone Retail & Commercial where she was responsible for all of the Southeast District Employees as a Human Resource Generalist, reporting to the VP of District Operations and the Human Resource Manager. Levetra is currently pursuing a Human Resources degree at Georgia Piedmont Technical College. 3 Senior Counsel and Manager of Enforcement Actions Teresina Stasko joined NERC in March as Senior Counsel and Manager of Enforcement Actions reporting to Sonia Mendonca. Prior to joining NERC, Teri worked at the Federal Energy Regulatory Commission as a supervising attorney in the Division of Audits and Accounting in the Office of Enforcement. Teri’s experience at FERC includes managing audits and conducting investigations of electric and natural gas utilities, as well as drafting orders. Recently, Teri worked on several audits that evaluated Regional Entity compliance with the NERC Rules of Procedure, Regional Entity Bylaws, and Delegation Agreements. Teri received her Bachelor of Arts in Economics from Trinity College, her Masters in Liberal Studies from Georgetown University, and her Juris Doctorate from the Columbus School of Law at The Catholic University of America. Principal Database Administrator Sean Donovan joined the NERC staff in March as a Principal Database Administrator reporting to Jeff Hicks. Sean comes to us from Manhattan Associates where he was a Senior Business Intelligence Developer on the Professional Services - Operations team. Sean developed and oversaw data warehousing, ETL, reporting and analytics projects and initiatives. Prior to this, he was with Nordic Cold Storage as a Senior Database Administrator. Sean has a Bachelor’s degree in Anthropology from the University of Georgia. Senior Human Performance and Training Coordinator Matthew Lewis joined NERC in March as the Senior Human Performance and Training Coordinator reporting to James Merlo. Matt recently retired from over twenty-five years of service as a U.S. Army officer. He served in a variety of command and staff positions in the fields of operations, exercises and training, technical intelligence, and special weapons effects and response. Matt has a Bachelor of Science degree in Physics from the University of Arkansas at Little Rock and a Master of Science in Applied Physics from the Air Force Institute of Technology. 4
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