The Center for Resource Solutions urges the WCI Partners, the Electricity Committee and Markets Committee to reconsider and rescind the recently released recommendation that renewable energy certificates (RECs) have no…
Comments focusing on several broad market issues in the development of an RES as described by the March 11, 2010, Preliminary Draft Regulation, and the presentations made during the March…
A policy brief that offers some discussion and comparison of three updated forecasts of the economic impact of California’s global warming law, AB 32. The three studies are from the…
CRS comments on VCS’s proposed Maine State Housing Authority Methodology for Weatherization of Single and Multi-Family Buildings. CRS recognizes the value of energy efficiency measures as a vital means to…
WeCAN comment letter submitted to the WCI’s Electricity Committee on its paper “Voluntary Renewable Energy Market: Issues and Draft Recommendations.”…
…to reduce global warming emissions. Multiple macroeconomic analyses have been conducted by a variety of economic modeling teams. But, to date, there has been no comparative analysis conducted of the…
This report contains the activities and financial reporting documents for 2008.
…number of societal issues has garnered support from social, political, and business communities. Commercial demand significantly influences the overall renewable energy market, as commercial purchasers have become the largest and…
This CRS-led joint letter to the EAAC on economic analysis of the impacts of AB 32 recommended that EAAC issue a statement on economic modeling that communicates that: CARB results…
WeCAN’s Cap Setting and Allowance Distribution Committee is recommending the addition of a fourth set of principles to WCI’s “Draft Statement of Principles,” one that recommends against overcompensating parties that…