Green-e DirectPublication
A graphic 1-page description of the Green-e Direct option.
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A graphic 1-page description of the Green-e Direct option.
Comments in support of the proposed revisions clarifying that bundled or unbundled RECs must be used under all three methods for complying with the RPS and must be retired once…
Guidance for accounting and reporting of renewable electricity in North America under the World Resources Institute’s Corporate Accounting and Reporting Standard for reporting of Scope 2 greenhouse gas emissions….
A description of how ownership of renewable energy attributes remains with the renewable energy certificate, and examples of claims issues between hosts, utilities, and owners.
…to track renewable energy and support compliance with the EPA Clean Power Plan, as well as to identify enhancements that may be needed to support state policy and reporting requirements….
…appreciate how existing renewable energy compliance practices provide well-established and suitable approaches for regulators to use as part of their efforts to demonstrate compliance under the EPA’s Clean Power Plan….
CRS comments on the January 2015 Sustainability Accounting Standards Board (SASB) Exposure Draft Standards for Public Comment for Consumption I sectors, including Agricultural Products, Processed Foods, Non‐Alcoholic Beverages, Alcoholic Beverages,…
Comments on definitions, concepts in the National Green Building Standard.
CRS comments strongly support the Sustainability Tracking, Assessment & Rating System (STARS), and particularly the inclusion of criteria and points for measuring and reducing GHG emissions; generating, using, and/or purchasing…
CRS comments on the Power Source Disclosure (PSD) Program Pre-Rulemaking Draft Regulations, released by the California Energy Commission for public comment on May 14, 2015.