…supports the use of verified Renewable Energy Certificates (RECs) to account for the delivery and consumption of renewable energy, regardless of whether the RECs were exclusively procured through bundled transactions…
…end user’s relationship with their utility has remained essentially unchanged. The advent of energy choice through deregulation, technological advances in distributed generation (such as rooftop solar), and increased pressure to…
…that are considering the merits of green power use or that are seeking information regarding the process of or range of options available for purchasing it. This webinar will provide…
Comments on the draft v3.0 of the General Reporting Protocol, for TCR’s voluntary greenhouse gas (GHG) emissions reporting program. Comments pertain to quantification methodologies for indirect emissions from electricity use,…
How do you reach over 200 million Americans* eager to support businesses that use clean energy? With the Green-e certification logo, recognized by 1 in 3 US adults**, businesses can…
…important. CRS’s 25 years of leadership in renewable energy standard development and environmental innovation makes it exceptionally qualified to solve energy and greenhouse gas accounting questions that can complicate sustainable…
Consumers working to meet renewable energy and greenhouse gas emissions targets find many challenges when accounting for renewable energy that they do not actively procure. This webinar will present the…
…RECs and use of offsite renewable electricity in Sec. 340-253-0470(5), proposed requirements for utility renewable electricity products in Sec. 340-253-0470(7), proposed reporting and documentation requirements for RECs in Sec. 340-253-0640(2)(d),…
…the Oregon Clean Fuels Program (CFP) Electricity 2021 Rulemaking. Comments pertain mostly to the proposed requirement for Green-e® certification of RECs used for the CFP. We provide a brief evaluation…