On this page
- 4.1 Solar battery retail business and workforce requirements
- 4.1.1 All solar battery retailers – mandatory retail business requirements
- 4.1.2 All solar battery retailers – recommendations for retail business
- 4.1.3 All solar battery installers – mandatory workforce requirements
- 4.1.4 All solar battery installers – recommendations for workforce
- 4.1.5 All other on-site solar battery workers – mandatory workforce requirements
- 4.1.6 All other on-site solar battery workers – recommendations for workforce
- 4.2 Solar battery system and product requirements
- 4.2.1 Overall energy storage system – mandatory requirements
- 4.2.2 Overall energy storage system – recommendations
- 4.2.3 Component: Energy storage device (battery energy storage systems or battery systems) – mandatory requirements
- 4.2.4 Component: Energy storage device (energy storage systems or battery systems) – recommendations
- 4.2.5 Component: Battery inverter (hybrid inverter or integrated power conversion equipment in a battery energy storage system) – mandatory requirements
- 4.2.6 Component: Battery inverter (hybrid inverter or integrated power conversion equipment in a battery energy storage system) – recommendations
4.1 Solar battery retail business and workforce requirements
The following retail business and workforce requirements apply to solar battery loans. They aim to enhance safety and quality by maintaining rigorous standards and developing a level playing field within the industry.
For more information about training requirements in this section, including how to enrol, see Training and workforce development.
4.1.1 All solar battery retailers – mandatory retail business requirements
Mandatory: All authorised solar battery retailers must be a signatory to the New Energy Tech Consumer Code (NETCC) program administered by the Clean Energy Council (CEC), and maintain the status of NET Approved Seller in order to remain an authorised solar retailer under our programs.
Why:
- The NETCC replaces the Approved Solar Retailer Code of Conduct as a set of service standards and consumer protections that build on the previous Code, expanding it to new energy technology beyond solar to batteries, electric vehicle chargers and more.
- The Code requires solar retailers to commit to quality service and stronger consumer protections than Australian Consumer Law and the national small-scale renewable energy certificate (STC) scheme provide for.
- New signatories to the NETCC undergo a stringent application process and are subject to a monitoring, compliance, and sanctions regime.
- Becoming a NET Approved Seller and authorised solar retailer highlights a commitment to high standards across sales and marketing, quotes and contracts, delivery and installation, and warranties and support.
- Administered by the CEC, the NETCC was initially approved by the ACCC and is governed by an independent council of industry and consumer bodies including Energy Consumers Australia, Consumer Action Law Centre and Energy Networks Australia. Compliance with and enforcement of the code is undertaken by an independent monitoring and compliance panel.
- More information:
Mandatory: No prosecutions under the Occupational Health and Safety Act 2004 and/or the Occupational Health and Safety Regulations 2017 (or equivalent legislation/ regulations in other Australian jurisdictions) resulting in a plea of guilty or a finding of guilt in the past three years.
Why:
- Compliance with relevant occupational health and safety acts and regulations protect the health, safety and welfare of employees and other people at work.
- Confirming compliance with relevant occupational health and safety acts and regulations aims to ensure that the health and safety of employees and the public are not put at risk by work activities.
Mandatory: Confirmation all workers engaged to install solar battery systems have attained:
- VU23631 Work safely on roofs with renewable energy systems training unit certification (previously obtained VU22744 Work Safely in the Solar industry accredited unit of competency is still valid).
- CPCCWHS1001 Prepare to work safely in the construction industry accredited unit of competency (White Card/construction induction card).
- See Work safely in the solar industry.
Why:
- System retailers are responsible for ensuring workers are appropriately trained to perform high-risk work.
- Retailers must perform due diligence to ensure all workers meet the regulated and contractual requirements of participating in the Solar Homes Program.
Mandatory: The retailer must ensure that an AS/NZS 5139 compliant labelling kit is provided to the installer for the purpose of commissioning a battery.
Why:
- Correct installation of the supplied product is an obligation of the retailer under contract law/Australian Consumer Law.
- This requirement will support better compliance with AS/NZS 5139.
- Correct battery labelling supports servicing by technicians and emergency services when responding to potential incidents.
- Addresses a gap as battery manufacturers are not currently required to provide AS/NZS 5139 compliant battery labelling kits.
- The retailer is accountable for ensuring a battery labelling kit is provided.
- For battery labelling guidance, see Solar Victoria’s Technical guidance sheet 2.4: Labelling requirements.
Mandatory: All solar battery retailers must maintain a record of all eligible systems installed under the Solar Homes Program. The record shall include the make, model, serial number/s, the time, date, and address of installation, for all eligible systems.
The records must be made available to Solar Victoria upon request.
Why:
- To proactively assist original equipment manufacturers (OEMs), regulators, and government bodies in the event of a product safety recall or other related product issue.
- To enable tracking of where products are located for the purpose of end-of-life management.
Mandatory: All authorised solar battery retailers to provide a minimum five year whole-of-system warranty for all eligible systems under the Solar Homes Program (including quality of work).
Retailers must also provide the customer with documentation confirming the terms and conditions of the warranty, and who to contact in the event of a product failure.
Why:
- Solar Victoria is aiming to improve program controls to protect consumers and meet compliance requirements.
- The Terms and Conditions for participation in the Solar Homes Program requires retailers to:
- express the warranty requirement as simply and clearly as possible
- make a declaration when they apply to participate in the programs that they agree to provide the warranty
- make a statement that they have provided the customer with documentation confirming the terms and conditions of the warranty and who to contact in the event of a product failure
- state that the warranty and responsibilities, in relation to installation, continue to operate after a retailer is suspended or otherwise ceases to participate in the Solar Homes Program.
Mandatory: The retailer, or parties acting on behalf of the retailer, must not conduct sales of eligible systems as part of Solar Homes program using door-to-door or telemarketing sales techniques.
The ban:
- prohibits ‘cold-call’ telemarketing and door-to-door sales techniques to all types of consumers.
- prohibits telemarketing and door-to-door sales to prospective or previous customers from being outsourced to contractors or marketing companies.
- only permits marketing or sales calls at the request of the consumer or with their express permission, and only within three months or a timeline specified when the consumer opts into calls, and only in accordance with the New Energy Tech Consumer Code.
- permits calls to notify a previous customer of a product default or recall that affects them.
Why:
- To protect consumers, particular vulnerable cohorts, from persistent, unsolicited or nuisance calls and pressure sales tactics.
- Prevents contacting consumers who are listed on the ’Do Not Call Register’.
- Aligns with the new Victoria Energy Upgrades program marketing ban administered by the Essential Services Commission.
- To prevent reputational harm of the Solar Homes program by being associated with nuisance telemarketing and door-to-door marketing techniques.
Note: the telemarketing prohibition came into effect under the Solar Homes Program on 1 May 2024 and door-to-door sales prohibition commenced on 1 September 2021 via the Retailer Terms and Conditions (see Instruction issued 30 April 2024).
Mandatory: Provide battery system customers with a financial performance estimate.
Why:
- Typically, customers purchase battery systems to reduce their electricity bills. However, under current Australian Standards, system owners are only required to receive an electricity performance estimate with no consideration of estimated cost savings.
- Greater transparency of the financial benefits of installing battery systems empowers customers to make informed decisions.
Mandatory: Compliance with the Victorian Government's ban on electronic waste to landfill.
Why:
- The Victorian Government has banned e-waste from landfill in Victoria, effective 1 July 2019. E-waste is growing three times faster than general municipal waste in Australia, and it contains both valuable and hazardous materials that can be recovered when they reach the end of their working life.
- The Waste Management Policy (e-waste) was approved by the Executive Council on 26 June 2018 and gazetted on 28 June 2018. The Victorian Government Gazette e-waste order can be found on pages 1457 to 1463.
- E-waste describes any device which requires an electro- magnetic current (including anything with a plug, cord or battery) to operate and includes all solar products at the end of their useful life i.e. panels, inverter an energy storage equipment.
- For more information on managing e-waste, see Managing e-waste.
Mandatory: Confirmation all workers engaged to install systems have successfully completed training and/or mentoring as required by Solar Victoria from time to time.
Why:
- Solar Victoria’s training and technical mentoring are industry validated and customised for the solar industry in consultation with subject matter experts.
- Training and technical mentoring mandated by Solar Victoria will be available to complete prior to the mandatory completion date set by Solar Victoria.
- Solar Victoria will provide reasonable notice of mandatory training and/or technical mentoring on its website at Training and Workforce Development.
4.1.2 All solar battery retailers – recommendations for retail business
Recommended: Registered with Energy Safe Victoria as a Registered Electrical Contractor.
Why:
- Where a solar battery retailer is also a registered electrical contractor the entity is subject to the Electrical Safety Act 1998. Registered electrical contractors are obliged to provide safety certificates to parties for whom electrical work is carried out.
- While registration as a Registered Electrical Contractor is not a mandatory requirement for the provision of electrical services, it places greater responsibility on the retailer to ensure worker and customer safety.
Recommended: Main business location listed as “Victoria” according to the Australian Government’s Australian Business Register.
Why:
- A key element of the Solar Homes Program concerns driving job creation with strong local content and industry development to build local supply chains. Prioritising businesses with a main business location of Victoria contributes to achieving this.
Recommended: Retailers and/or installers offer end-of-life management programs, during product replacement or disposal, with service provider/s certified to AS 5377.
Why:
- The Solar Homes Program aims to support Victoria’s emerging circular economy by encouraging best practice approaches and outcomes for battery products and materials at the end of their lifecycle.
- AS/NZS 5377 establishes Australia’s best practice benchmark for the collection, storage, transport and treatment of end-of-life electrical and electronic equipment.
- Future eligibility and installation requirements will be updated periodically. In particular, Solar Victoria recognises the national stewardship approach underway for PV products and materials at the end of their lifecycle.
- See How to manage end-of-life solar PV.
Recommended: We recommend that solar battery retailers advise system owners of the Victorian Energy Compare website and how to utilise the solar saver tool prior to installing a solar system.
Why:
- The Victorian Energy Compare website is a Victorian Government initiative that includes a solar savings calculator using NMI (National Mering Identifier) specific data.
- The solar calculator can be used by homeowners to compare the proposed solar system to their actual usage and tariff structure.
- Solar Victoria informs all rebate recipients in their welcome pack to use the Victorian Energy Compare website to calculate how much money they could save on energy bills by installing solar panels.
- Other ways Solar Victoria promotes use of the Victorian Energy Compare include:
- Householder e-newsletter
- Buyers Guides
- consumer education activities, including events.
- Victorian Energy Compare can be accessed at compare.energy.vic.gov.au and the solar calculator at Solar Savings Calculator.
Recommended: Has completed training by the original equipment manufacturer (OEM) on the specific energy storage solution that is being installed.
Why:
- Installation requirements are specific to individual OEMs, and typical warranties require the installer to have been accredited by the OEM in addition to receiving basic battery installation training.
- Specific training increases the competence of installers across the sector and provides greater assurance for the safety of installations.
Recommended: Workers engaged to install solar battery systems have attained, CPCCCM2010B (or RIIWHS204) Work Safely at Heights accredited unit of competency.
Why:
- System retailers are responsible for ensuring workers are appropriately trained to perform high-risk work.
- This training sets out the requirements to work safely on construction sites where the work activity involves working above 1.5 metres from ground level and where fall protection measures are required.
- Completion of Work Safely at Heights training is a work, health and safety risk control measure.
Recommended: Workers engaged to undertake installations have attained 22657VIC Working Safely on Rooftop Renewable Energy Systems (previously obtained 22515VIC Course in Working Safely in the Solar Industry is still valid).
See Work safely in the solar industry.
Why:
- System retailers have a responsibility to ensure workers are appropriately trained to perform high-risk work.
- Working Safely on Rooftop Renewable Energy Systems is an accredited training program and provides vocational outcomes for persons wishing to gain the skills and knowledge required for the safe installation of solar systems.
- Training content includes VU23631 Work safely on roofs with renewable energy systems (a training unit developed and customised for the solar industry), White Card/construction induction training, first aid and working at heights.
Recommended: Undertake free business mentoring sessions from Solar Victoria’s approved provider.
See Business mentoring and support.
Why:
- The experienced business consultants we have engaged can help participants in our programs make informed decisions to improve their business through tailored and confidential one-on-one mentoring sessions.
4.1.3 All solar battery installers – mandatory workforce requirements
Mandatory: Holds installer accreditation for grid connected battery systems under the accreditation scheme offered by the Accreditation Scheme Operator (ASO).
Why:
- Accreditation confirms an individual has undertaken industry specific training relevant to the installation of battery systems.
- The accreditation scheme includes continuous professional development requirements and a compliance regime.
Mandatory: Holds unrestricted (A Grade) electrical licence issued by Energy Safe Victoria or holds equivalent Australian interstate electrical licence with mutual recognition by Energy Safe Victoria.
Why:
- In accordance with the Electrical Safety (General) Regulations 2019, complete installation of a grid-connected solar battery system qualifies as prescribed electrical installation work and must therefore be done by a licensed electrician.
Mandatory: Has no prosecutions under the Occupational Health and Safety Act 2004 and/or the Occupational Health and Safety Regulations 2017 (or equivalent legislation/regulations in other Australian jurisdictions) resulting in a plea of guilty or a finding of guilt in the past three years.
Why:
- Compliance with relevant occupational health and safety acts and regulations protect the health, safety and welfare of employees and other people at work.
- Confirming compliance with relevant occupational health and safety acts and regulations aims to ensure that the health and safety of employees and the public are not put at risk by work activities.
Mandatory: Has attained the CPCCWHS1001 Prepare to work safely in the construction industry accredited unit of competency (White Card/construction induction card).
See Work safely in the solar industry.
Why:
- White Card training sets out requirements for performing safe work practices, identifying risks and satisfying work requirements.
- Occupational Health and Safety Regulations 2017 state that construction induction training must be undertaken by workers engaged in construction and the installation of electricity services.
- Completion of White Card training is a work, health and safety risk control measure.
Mandatory: Has attained the VU23631 Work safely on roofs with renewable energy systems accredited unit of competency (previously obtained VU22744 Work Safely in the Solar industry accredited unit of competency is still valid).
See Work safely in the solar industry.
Why:
- Work safely on roofs with renewable energy systems is a tailored safety training unit which includes customised working at heights, lockout and energisation requirements, identification and reporting on asbestos, etc.
- A sector advisory group identified a skills gap in the solar industry and developed this training unit. The advisory group was led by the Office of the Victorian Skills Commissioner and included representatives from WorkSafe, Solar Victoria, the Electrical Trades Union, the Clean Energy Council, the Plumbing Pipes Trades and Employee Union, Master Plumbers, the National Electrical and Communications Association and multiple solar retailers.
- Completion of Work safely on roofs with renewable energy systems is a work, health and safety control measure.
Mandatory: Inverters must be set to comply with Distribution Network Service Provider (DNSP) connection agreements, including but not limited to, being correctly configured with the “Australia A” setting prior to connection and on-going application.
Why:
- Victorian distribution network service providers (DNSPs) have mandated unified power quality response mode settings, defined by the “Australia A” configuration mode within AS/NZS 4777.2.
- All installations must comply with DNSP network connection agreements.
- See guidance on How to correctly configure inverter settings.
Mandatory: Confirmation all workers engaged to install systems have successfully completed training and/or mentoring as required by Solar Victoria from time to time.
Why:
- Solar Victoria’s training and technical mentoring are industry validated and customised for the solar industry in consultation with subject matter experts.
- Training and technical mentoring mandated by Solar Victoria will be available to complete prior to the mandatory completion date set by Solar Victoria.
- Solar Victoria will provide reasonable notice of mandatory training and/or technical mentoring on its website at Training and Workforce Development.
4.1.4 All solar battery installers – recommendations for workforce
Recommended: We recommend that solar battery installers advise system owners of the Victorian Energy Compare website and how to utilise the solar saver tool prior to installing a solar system.
Why:
- The Victorian Energy Compare website is a Victorian Government initiative that includes a solar savings calculator using NMI (National Mering Identifier) specific data.
- The solar calculator can be used by homeowners to compare the proposed solar system to their actual usage and tariff structure.
- Solar Victoria informs all rebate recipients in their welcome pack to use the Victorian Energy Compare website to calculate how much money they could save on energy bills by installing solar panels.
- Other ways Solar Victoria promotes use of the Victorian Energy Compare website include:
- Householder e-newsletter
- Buyers Guides
- consumer education activities, including events.
- Victorian Energy Compare can be accessed at compare.energy.vic.gov.au and the solar calculator at Solar Savings Calculator.
Recommended: Retailers and/or installers offer end-of-life management programs, during product replacement or disposal, with service provider/s certified to AS 5377.
Why:
- The Solar Homes Program aims to support Victoria’s emerging circular economy by encouraging best practice approaches and outcomes for materials at the end of their lifecycle.
- AS 5377 establishes Australia’s best practice benchmark for the collection, storage, transport and treatment of end-of-life electrical and electronic equipment.
- Future eligibility and installation requirements will be updated periodically. Solar Victoria recognises the national stewardship approach underway for PV products and materials at the end of their lifecycle.
- See How to manage end-of-life solar PV.
Recommended: Has attained CPCCCM2012 (or RIIWHS204) Work Safely at Heights accredited training unit.
See Work safely in the solar industry.
Why:
- This training sets out the requirements to work safely on construction sites where the work activity involves working above 1.5 metres from ground level and where fall protection measures are required.
- Completion of Work Safely at Heights training is a work, health and safety risk control measure.
Recommended: Has attained 22657VIC Working Safely on Rooftop Renewable Energy Systems accredited course (previously obtained 22515VIC Course in Working Safely in the Solar Industry is still valid).
See Work safely in the solar industry.
Why:
- Working Safely on Rooftop Renewable Energy Systems is an accredited training program and provides vocational outcomes for persons wishing to gain the skills and knowledge required for the safe installation of solar systems.
- Training content includes VU23631 Work safely on roofs with renewable energy systems (a training unit developed and customised for the solar industry), White Card/construction induction training, first aid and working at heights.
4.1.5 All other on-site solar battery workers – mandatory workforce requirements
Mandatory: Has attained the VU23631 Work safely on roofs with renewable energy systems accredited unit of competency (previously obtained VU22744 Work Safely in the Solar Industry accredited unit of competency is still valid).
See Work safely in the solar industry.
Why:
- Work safely on roofs with renewable energy systems is a tailored safety training unit which includes customised working at heights, lockout and energisation requirements, identification and reporting on asbestos, etc.
- A sector advisory group identified a skills gap in the solar industry and developed this training unit. The advisory group was led by the Office of the Victorian Skills Commissioner and included representatives from WorkSafe, Solar Victoria, the Electrical Trades Union, the Clean Energy Council, the Plumbing Pipes Trades and Employee Union, Master Plumbers, the National Electrical and Communications Association and multiple solar retailers.
- Completion of Work safely on roofs with renewable energy systems is a work, health and safety control measure.
Mandatory: Has attained the CPCCWHS1001 Prepare to work safely in the construction industry accredited unit of competency (White Card/construction induction card).
See Work safely in the solar industry.
Why:
- White Card training sets out requirements for performing safe work practices, identifying risks and satisfying work requirements.
- Occupational Health and Safety Regulations 2017 state that construction induction training must be undertaken by workers engaged in construction and the installation of electricity services.
- Completion of White Card training is a work, health and safety risk control measure.
Mandatory: Confirmation all workers engaged to install systems have successfully completed training and/or mentoring as required by Solar Victoria from time to time.
Why:
- Solar Victoria’s training and technical mentoring are industry validated and customised for the solar industry in consultation with subject matter experts.
- Training and technical mentoring mandated by Solar Victoria will be available to complete prior to the mandatory completion date set by Solar Victoria.
- Solar Victoria will provide reasonable notice of mandatory training and/or technical mentoring on its website at Training and Workforce Development.
4.1.6 All other on-site solar battery workers – recommendations for workforce
Recommended: Has attained 22657VIC Working Safely on Rooftop Renewable Energy Systems accredited course (previously obtained 22515VIC Course in Working Safely in the Solar Industry is still valid).
See Work safely in the solar industry.
Why:
- Working Safely on Rooftop Renewable Energy Systems is an accredited training program and provides vocational outcomes for persons wishing to gain the skills and knowledge required for the safe installation of solar systems.
- Training content includes VU23631 Work safely on roofs with renewable energy systems (a training unit developed and customised for the solar industry), White Card/construction induction training, first aid and working at heights.
4.2 Solar battery system and product requirements
The following system and product requirements apply to all solar battery loans. They aim to enhance safety and quality by maintaining rigorous standards and ensuring products are future-fit.
4.2.1 Overall energy storage system – mandatory requirements
Mandatory: Listed on the Solar Victoria Solar Victoria battery product list and have the correct grid support parameters configured, including being set to ‘Australia A’ setting.
Why:
- Listing on our battery product list confirms that the battery system meets Solar Victoria’s criteria for safety, quality and technical capability.
- Components of the overall energy storage solution are each listed on the Clean Energy Council’s Approved Energy Storage and Power Conversion Equipment lists, confirming via certified evidence, the products meet minimum safety requirements for use in Australia.
- The CEC list has been refined for battery solutions that have been assessed to be ‘VPP-capable’, with technical capabilities aligned with AEMO’s NEM VPP Demonstration Program Minimum Capability Specifications that enable the battery to provide networksupport services, participate in virtual power plants and/or future distributed energy resource (DER) marketplaces.
- The systems on our battery product list have been assessed for technical capabilities including performance, safety, internet accessibility, security, and remote registration, monitoring and control.
- They represent one of first steps towards greater facilitation of DER in the network, as outlined by the Australian Open Energy Networks program and the reform program of California Rule 21 (amongst others).
Authorised retailers and original equipment manufacturers can apply for new battery solutions to be included on the Solar Victoria battery product list at Apply to the battery product list.
Mandatory: The eligible system must be connected to the internet as part of commissioning where practicable to do so.
In cases where a reliable internet connection is not present, the installer must connect temporarily via a mobile device (i.e. hotspot) during commission to register the system.
Why:
- Examples of where it is considered not practicable to connect the eligible system to the internet include:
- there is no reliable connection available (including new builds); or
- it is cost prohibitive to do so.
- Enables retailers and manufacturers to provide software updates to resolve safety and performance issues
- Allows customers to monitor performance of their battery system.
- Examples of where it is considered not practicable to connect the eligible system to the internet include:
Mandatory: System installed in compliance with AS/NZS 5139.
Why:
- Battery installations are required to conform to AS/NZS 5139, a standard explicitly relating to the safe installation of modern battery systems.
- Correct battery labelling supports servicing by technicians and emergency services if responding to potential incidents.
- Under the AS/NZS 5139 application of battery labels is the responsibility of the installer.
- Installers must also take into consideration the manufacturer’s installation instructions when applying labels.
- For guidance to help meet this requirement, see Technical guidance sheet 2.4 Labelling requirements.
Mandatory: Where an energy storage solution is installed in a room under the same roof as a residence (e.g. a garage or storeroom), a suitable smoke alarm shall be installed within that room.
The smoke alarm shall comply with AS 3786:2014 or AS 3786:2023, or where the use of the area is likely to result in smoke alarms causing spurious signals, shall comply with AS 1670.1.
It is recommended that wherever practicable to do so, the smoke alarm should be hard wired and be interconnected with other residence smoke alarms or have some secondary alert system within the residence.
Why:
- It is recommended to install a smoke alarm in the same room as an energy storage solution in the battery installation standard AS/NZS 5139.
- Safety is a top priority of the Solar Homes Program, and the installation of a smoke alarm reduces the risk of injury and property damage.
Mandatory: Energy storage device complies with the Australian Best Practice Guide: Battery Storage Equipment – Electrical Safety Requirements.
Why:
- This guide represents industry best practice in the safe installation of home battery systems.
- The guide has been developed by industry associations involved in renewable energy battery storage equipment, with input from energy network operators, private certification bodies, and other independent stakeholder groups and individuals, as well as consumer and electrical safety regulators including the Clean Energy Council, Smart Energy Council, CSIRO, AI Group and the Consumer Electronics Suppliers Association.
Mandatory - Product manufacturers: To provide a minimum five year whole-of-product warranty on all major components listed as:
- Battery
- Inverter
- Smart Controller (if required)
The systems must be serviced as per the manufacturer’s guidelines to maintain warranty.
Why:
- Solar Victoria is aiming to improve program controls to protect consumers and meet compliance requirements.
- The Terms and Conditions for participation in the Solar Homes Program requires retailers to:
- express the warranty requirement as simply as possible and make it available on their website
- state that the warranty and responsibilities about installation continue to operate after a retailer is suspended or otherwise ceases to participate in the Solar Homes Program.
Mandatory: Provide a whole-of-system warranty (including quality of work) of a minimum of 5 years and a minimum performance warranty of 7 years under daily cycling operation.
Why:
- A minimum 5-year whole-of-system warranty is an explicit mandatory requirement of the Solar Homes Program, including quality of work.
- A further minimum performance warranty of 7 years is required under daily cycling operation, aligning with requirements for the South Australian Home Battery Scheme.
Mandatory: Battery system to be registered on the Australian Energy Market Operator’s Distributed Energy Resources Register.
Why:
- AEMO is obliged under the National Electricity Rules to establish a register of Distributed Energy Resources in the National Electricity Market. Solar Victoria aims to support the registration of all batteries supported under the Solar Homes Program.
- See Distributed Energy Resource Register.
4.2.2 Overall energy storage system – recommendations
Recommended: Solar battery system performance is to be tested and a report created as per AS 5374.
Why:
- To ensure households receive high quality products that do not suffer from a significant drop in production over their lifetime.
Recommended: Solar battery systems are recommended to have API integration capabilities conforming to IEEE 2030.5 and Common Smart Inverter Profile (CSIP)-AUS, via either direct inverter integration, an external control system or via a vendor cloud - or equivalent.
** Solar Victoria will strongly consider mandating compliance to CSIP-AUS at an appropriate time, in consultation with industry. **
Why:
- An industry adopted communications protocol will help to standardise the interoperability approach. Interoperability is seen as the key enabler to unlock future energy markets through widespread aggregation and orchestration of DER.
- Australia’s Common Smart Inverter Profile (CSIP-AUS) previously referred to as the ‘Australian Implementation Guide’ of open communications protocol IEEE 2030.5, was released in September 2021.
Recommended: The installed energy storage system should include an open communication protocol.
Why:
- Open communication protocols support third party (e.g., aggregator, platform provider, distribution network service provider, distribution service operator, etc) visibility, communication, and orchestration.
- Systems with open communication protocols may participate in future energy markets and/or flexible export connection arrangements.
Recommended: Ensure consumers are able to view both solar generation and energy consumption via a software solution supplied as part of the installation of the solar PV system.
Why:
- Solar Victoria wants to ensure consumers (and their authorised agents) can freely and easily access data from their meter, locally so that they can optimise their generation and consumption to reduce their bills.
- If consumers can’t access this via their PV or battery inverter app, they can use an ‘In-Home Display’ e.g., Powerpal or Emerald Planet connected to their Smart Meter. Alternatively, consumers can request this data the day after (not live) from their Distributed Network Service Provider (DNSP).
Recommended: Solar battery systems are recommended to be installed in a manner that prevents “Cross Phasing”.
Why:
- Ensuring solar batteries and solar PV are on the same phase for multiphase customers improves direct self-consumption.
- Victoria’s net metering arrangement does not require per phase balancing for multiphase customers. A solar PV and solar battery system can be installed on separate phases – with no financial impact to a customer (except where grid export limits are reached).
- Battery cross phasing can result in network unbalance, potentially avoided higher line voltages and unnecessary exacerbation of power qualities in the network.
- Victoria’s Net Metering arrangement is defined in:
4.2.3 Component: Energy storage device (battery energy storage systems or battery systems) – mandatory requirements
Mandatory: Listed as one of the overall energy storage solutions on the Solar Victoria battery product list.
Why:
- Listing on our battery product list confirms that the battery system meets Solar Victoria’s criteria for safety, quality and technical capability.
- Components of the overall energy storage solution are each listed on the Clean Energy Council’s Approved Energy Storage and Power Conversion Equipment lists, confirming via certified evidence, the products meet minimum safety requirements for use in Australia.
- The CEC list has been refined for battery solutions that have been assessed to be ‘VPP-capable’, with technical capabilities aligned with AEMO’s NEM VPP Demonstration Program Minimum Capability Specifications that enable the battery to provide network support services, participate in virtual power plants and/or future distributed energy resource (DER) marketplaces.
- The systems on our battery product list have been assessed for technical capabilities including performance, safety, internet accessibility, security, and remote registration, monitoring and control.
- They represent one of first steps towards greater facilitation of DER in the network, as outlined by the Australian Open Energy Networks program and the reform program of California Rule 21 (amongst others).
Authorised retailers and original equipment manufacturers can apply for new battery solutions to be included on the Solar Victoria battery product list at Apply to the battery product list.
4.2.4 Component: Energy storage device (energy storage systems or battery systems) – recommendations
Recommended: Retailers and/or installers offer end-of-life management programs, during product replacement or disposal, with service provider/s certified to AS 5377.
Why:
The Solar Homes Program aims to support Victoria’s emerging circular economy by encouraging best practice approaches and outcomes for materials at the end of their lifecycle.
- AS 5377 establishes Australia’s best practice benchmark for the collection, storage, transport and treatment of end-of-life electrical and electronic equipment.
- Future eligibility and installation requirements will be updated periodically. In particular, Solar Victoria recognises the national stewardship approach underway for PV products and materials at the end of their lifecycle.
- See How to manage end-of-life solar PV.
4.2.5 Component: Battery inverter (hybrid inverter or integrated power conversion equipment in a battery energy storage system) – mandatory requirements
Mandatory: Listed with one of the overall energy storage solutions on the Solar Victoria battery product list.
Why:
- Listing on our battery product list confirms that the battery system meets Solar Victoria’s criteria for safety, quality and technical capability.
- Components of the overall energy storage solution are each listed on the Clean Energy Council’s Approved Energy Storage and Power Conversion Equipment lists, confirming via certified evidence, the products meet minimum safety requirements for use in Australia.
- The CEC list has been refined for battery solutions that have been assessed to be ‘VPP-capable’, with technical capabilities aligned with AEMO’s NEM VPP Demonstration Program Minimum Capability.
- Specifications that enable the battery to provide network support services, participate in virtual power plants and/or future distributed energy resource (DER) marketplaces.
- The systems on our battery product list have been assessed for technical capabilities including performance, safety, internet accessibility, security, and remote registration, monitoring and control.
- They represent one of first steps towards greater facilitation of DER in the network, as outlined by the Australian Open Energy Networks program and the reform program of California Rule 21 (amongst others).
- Authorised retailers and original equipment manufacturers can apply for new battery solutions to be included on the Solar Victoria battery product list at Apply to the battery product list.
Mandatory: Inverter(s) must comply with AS/NZS 4777.2.
Why:
- AS/NZS 4777.2 includes inverter capabilities related to increased grid support features, disturbance ride-through capabilities and test procedure clarity, as well as product requirements for inbuilt DC isolation devices.
Recommended: The inverters should only have the power quality response mode region settings listed in AS/NZS 4777.2, with “Australia A” listed as the default setting.
A user should also easily be able to view the current setting on the inverter’s digital display or software portal.
Why:
- Distributed Network Service Providers (DNSPs) have detected that many new inverter installations are not set to the correct region setting.
- Removal of old grid settings and having “Australia A” as the default setting reduces the chance that the incorrect setting will be used.
- Visibility of the power quality response region settings will allow for inspectors to easily check that the right setting has been selected.
4.2.6 Component: Battery inverter (hybrid inverter or integrated power conversion equipment in a battery energy storage system) – recommendations
Recommended: Retailers and/or installers offer end-of-life management programs, during product replacement or disposal, with service provider/s certified to AS 5377.
Why:
- The Solar Homes Program aims to support Victoria’s emerging circular economy by encouraging best practice approaches and outcomes for materials at the end of their lifecycle.
- AS 5377 establishes Australia’s best practice benchmark for the collection, storage, transport and treatment of end-of-life electrical and electronic equipment.
- Future eligibility and installation requirements will be updated periodically. In particular, Solar Victoria recognises the national stewardship approach underway for PV products and materials at the end of their lifecycle.
- See How to manage end-of-life solar PV.
Updated