…released for public consultation draft requirements for standardized approaches for baselines and additionality. CRS submitted comments in general support of the VCSA’s decision to move forward with standardized approaches, requesting…
…tenets conflict with California Energy Commission (“CEC”) findings during RPS compliance verification. CRS requests that the California Public Utilities Commission either remove the tenets completely, or at a minimum, rename…
General Comments in support of the LEED 2012 Rating System Drafts, including the inclusion of criteria and points for green power and carbon offset purchasing in the LEED Standards, and…
CRS applauds Quebec for proposing such a comprehensive system for reducing greenhouse gas emissions, and urges you to adopt a Voluntary Renewable Energy (VRE) set aside as enabled under Western…
Suggestions for changes to be made to language under GIB Credit: On-site Renewable Energy Sources and the subheading “ND Plan, ND”…
Comments on the second 15-day amendments to the California Cap on Greenhouse Gas (GHG) Emissions and Market-Based Compliance Mechanisms proposed regulations.
CRS respectfully offers these comments on issues nine and ten of the Administrative Law Judge’s Ruling Requesting Comments on the Implementation of the New Portfolio Content Categories for the RPS…
Comments to the draft standard as part of the WindMade public consultation process. We support the inclusion of a definition of “green credentials” and requiring a unique ID number; and…
Comments from the Center for Resource Solutions on the U.S. Senate Committee on Energy and Natural Resources Clean Energy Standard (CES) White Paper.
Summary of comments on the Federal Trade Commission (FTC)’s recently released proposed update to its Guides for the Use of Environmental Marketing Claims (“Green Guides”). CRS will be submitting comments,…