Consistent with the Tariff, PJM specifically will be 1) reviewing the default ACR values to determine whether any changes other than those produced by the Handy-Whitman escalation methodology are warranted for subsequent Delivery Years; 2) reporting our conclusions to the Members no later than four months after the 2015/2016 BRA; and 3) filing with FERC any resulting changes to the default ACR within seven months of the 2015/2016 BRA.