Comments on Public Service Company of Colorado’s (XcelEnergy, Inc.’s) WindSource® product offering….
Comments on the Technical Workshop for the SB100 Joint Agency Report Charting a Path to a 100% Clean Energy Future. Comments pertaining to options for defining eligible electricity resources and…
Comments on the proposed changes to the Express Terms (15-Day Language) for California’s Power Source Disclosure program under Assembly Bill 1110 (Ting), which requires that retail suppliers of electricity disclose…
Feedback on the January 2020 Discussion Draft of the CLEAN Future Act. CRS strongly supports comprehensive climate policy at the federal level, and feedback is primarily aimed at the Federal…
…Meetings and Workshops held March 10-11, 2020 (“the Workshops”). Comments are focused on requirements for demonstrating compliance with the Renewable Energy Standard and Tariff (REST) in Staff’s Draft Rules, the…
Comments generally clarifying the relationship between the CEPs and reporting for the economy-wide goal under HB19-1261 and per proposed Regulation No. 22….
Comments on Decision No. C19-0197 Notice of Proposed Rulemaking (NOPR) dated February 27, 2019 (“2-27-2019 NOPR”) and appendices. Comments are limited to proposed changes to the Renewable Energy Standard (RES)…
Responses to questions from the commission regarding the interpretation of “use” of renewable and nonemitting electricity and use of “bundled” renewable and nonemitting electricity, and related CETA compliance options.
CRS comments on second discussion draft rule language for implementation of Washington State’s Clean Energy Transformation Act (CETA)….
Comments on elements of Arizona Corporation Commission (ACC) staff’s July 29, 2020 Proposed Draft Rules (“Staff Proposal”), Commissioner Kennedy’s proposed amendments no. 2 dated September 16, 2020, a letter from…