CRS submitted comments under Docket UE-210183 in response to a the November 10, 2021 Notice of Opportunity to File Written Comments on Draft Rules Relating to Electricity Markets and Compliance…
CRS submitted comments under Docket UE-210183 in response to a December 6, 2021 Joint Rulemaking Workshop on “use” and clarifying written comments submitted on November 12, 2021 and December 6,…
CRS submitted comments in response to January 19, 2022 draft rules on Use of Electricity, Storage, and Double-counting under the Clean Energy Transformation Act (CETA) from both the UTC and…
CRS submitted recommendations to CAISO as a part of its stakeholder initiative to develop a Western EDAM regarding GHG attribution and reporting requirements in the market.
CRS provided feedback to the Washington State Department of Ecology on the March 15, 2022 draft of the Washington Clean Fuel Standard (WAC Chapter 173-424). Our comments primarily focused on…
CRS’s comments include general support for required climate-related disclosures and detailed recommendations and background related to renewable energy certificates (RECs) and Scope 2 emissions accounting….
…electricity generation that can be used by electricity suppliers and consumers to set goals, measure progress, and make claims, and by policymakers and regulators to design reporting and compliance programs….
CRS’s comments in responses to questions in the Stakeholder Feedback section of the Draft Guidance include general support for DOE’s Clean Hydrogen Program and detailed recommendations on the use of…
CRS’s comments pertain to the effects of the implementation of HB 951 on voluntary renewable energy (VRE) generation in North Carolina, considerations for electricity imports, reporting requirements, offset requirements, and…
CRS’s comments in responses to questions in the Stakeholder Feedback section of the Draft Guidance include general support for DOE’s Clean Hydrogen Program and detailed recommendations on the use of…