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,…
CRS comments on draft regulations to update California’s Power Source Disclosure requirements under Assembly Bill 1110 (Ting), which requires that retail suppliers of electricity disclose to consumers the greenhouse gas…
Comments on the CPS Straw Proposal presented on April 2, 2019. Comments pertain to avoiding potential double-counting with RECs and ensuring regulatory surplus for the voluntary renewable energy market, as…
Comments on the Working Group Statement on the future role and design of the voluntary carbon off setmarket, “Envisioning the Voluntary Carbon Market Post-2020. ”Comments pertain assurances and benefits related…
Comments on June 6, 2019, Climate Forward Solar Photovoltaic Forecast Methodology v1.0 Draft for Public Comment, which addresses emission reductions associated with the installation of solar photovoltaic systems at existing…
Comments for the 2019 IEMAC Annual Report and the Markets Overlap Subcommittee pertaining to greenhouse gas (GHG) accounting for California electricity imports and potential interactions with Washington State’s Clean Energy…
Comments on the request for input on approaches to achieve a 100 percent clean economy by 2050 pertaining to protecting voluntary renewable energy markets and corporate renewable energy demand, purchasing,…
Comments on the Summary of Issues for the June 2019 Carbon Workshop at the Western Energy Imbalance Market (EIM) Regional Issues Forum (RIF), which summarizes what was discussed and questions…
CRS comments on the regulatory proposal and initial statement of reasons for updating California’s Power Source Disclosure program under Assembly Bill 1110 (Ting), which requires that retail suppliers of electricity…
Comments on the CPS Draft Regulation regarding how Clean Peak Energy Certificates (CPECs) affect consumer claims and may interact with renewable energy certificates (RECs).