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NIPPC submits brief comments relating to CETA’s return-on-PPA provision in the UTC’s performance-based regulation docket U-210590, 1/30/26
NIPPC’s comments to Ecology on the proposed rule changes for no-cost allowances provided to electric utilities, following its November workshop, 12/5/25
NIPPC’s cross-answering testimony by Henry Tilghman in UM 2385, Portland General Electric’s corporate restructure docket at the OPUC, 1/30/26
NIPPC’s comments in response to ALJ’s questions related to implementation of Gov. Kotek’s Executive Orders 25-25 and 25-29 in UM 2417, 1/12/26
NIPPC and Renewable Northwest’s joint comments to BPA following its December and January GAT and TC-27 workshops, 1/16/26
NIPPC and RNW comments to BPA on its BP 26E workshops, suggesting that BPA apply CAISO allocations for any EIM charge codes adopted in the future, 1/8/26
NIPPC final comments on the OPUC rulemaking to amend IRP and competitive bidding rules, docket number AR 669, 12/4/25
NIPPC’s opening comments in Montana PSC HB 55 implementation proceeding 2025.08.058, on how to improve resource adequacy and power procurement in the state, 10/7/25
NIPPC comments on Staff Report in OPUC docket number UM 2404, the request for an investigation into penalty guidance and alternative compliance options for ESSs, 11/21/25
NIPPC’s initial comments in rulemaking AR 669, to amend IRP and competitive bidding rules, including prior recommendations, 11/14/25
Opening Testimony of Henry Tilghman for NIPPC in OPUC docket UM 2385, the PGE transmission affiliate matter, 11/13/25
NIPPC files illustrative calculations in support of its motion to adopt alternative resource adequacy compliance requirements for ESS’s in Oregon in OPUC docket UM 2404, 11/13/25
NIPPC’s filing of its positions in UM 2024, AWEC’s petition for investigation into long-term direct access programs at the OPUC, 11/12/25
NIPPC’s reply comments in support of its Motion to Adopt State Program Penalty Guidance and Alternative Compliance Option for Electricity Service Suppliers in OPUC docket number UM 2404, the commission’s state resource adequacy compliance case, 10/29/25
NIPPC’s prehearing comments on proposed revisions to the OPUC’s competitive bidding rules in AR 669, 10/20/25
NIPPC and Renewable Northwest’s comments to BPA following its October 28 TC-27 kick off workshop, 11/12/25
NIPPC’s response comments to the IPUC in case no. GNR-E-25-01, the commission’s RFP investigation, 8/21/25
NIPPC and Renewable Northwest comment on PacifiCorp’s scoring methodology, using conditional firm transmission in its RFP docket, UE-250464, 9/10/25
NIPPC comments to the Washington UTC on its draft rules in UE-210183, the CETA compliance requirements rulemaking, 8/19/25
NIPPC comments on the CTA’s return on PPA provision in WUTC’s policy-setting case U-210590, 8/8/25
NIPPC’s brief comments addressing ODOE’s draft policy recommendations for its upcoming energy strategy, 9/22/25
Closing testimony of NIPPC expert witness, Ali Al-Jabir in UM 2024, the OPUC’s direct access investigation, 9/24/25
NIPPC’s motion to adopt state program penalty guidance and alternative compliance option for ESS providers in the OPUC’s resource adequacy investigation, UM 2143, 8/27/25
NIPPC’s final comments in AR 669, the OPUC rulemaking to amend IRP guidelines and competitive bidding rules, 8/20/25
Opening testimony of NIPPC expert witness in OPUC docket UM 2377 addressing PGE large loads with respect to direct access, 8/11/25
NIPPC and Renewable Northwest comment to BPA on its proposed GAT process in response to BPA’s presentation at its July 9 & 10 workshops, 8/22/25
WPTF and NIPPC’s joint filing before FERC broadly in support of the CAISO’s interim solution to congestion charge allocation for EDAM participants, 7/17/25
NIPPC submits comments to the UTC requesting CETA’s return on PPA provision to be included in the next phase of regulation docket U-210950, 6/6/25
NIPPC comments on the second draft of the proposed rules in AR 669, the OPUC’s rulemaking to amend RFP guidelines and competitive bidding rules, 7/16/25
NIPPC submits comments on staff’s report, including change in law language, in UM 2371, Portland General Electric’s 2025 RFP docket, 7/14/25
NIPPC’s cross answering and reply testimony in OPUC direct access docket UM 2024 by Ali Al Jabir and Henry Tilghman, 6/25/25
NIPPC’s responses to PGE’s data requests in OPUC direct access investigation, UM 2024, 6/20/25
NIPPC reiterates its support for the revision of congestion revenue allocation associated with parallel path flows in EDAM, 6/7/25
NIPPC and Renewable Northwest submit joint comments on BPA’s GAT transition proposal in response to topic’s raised at BPA’s Grid Transformation Access July 9-10 workshop, 7/22/25
NIPPC comments on BPA’s proposed business practice revisions related to GI queue reform, 7/21/25
NIPPC’s comments in Montana PSC docket 2022.09.087 regarding data center loads and resource adequacy in Montana, 5/2/25
NIPPC and WPTF joint comments protesting PGE’s EDAM implementation filing before FERC in docket no. ER25-1868-000, 5/1/25
NIPPC submits comments for the UTC to review in Avista’s draft 2025 RFP, UE 250155, 4/24/25
NIPPC comments on the commission’s proposed rules in its IRP/RFP modernization docket, AR 669, focusing on utility access to confidential bidder information, 5/28/25
NIPPC continues to push for PGE to make its transmission available to all bidders in UM 2371, Portland General Electric’s 2025 All-Source RFP, 5/16/25
NIPPC’s Opening Testimony, drafted by expert witness, Ali Al-Jabir, in the Oregon PUC investigation into direct access, UM 2024, 5/2/25
NIPPC comments on EDAM Congestion Revenue Allocation draft final proposal, using the Q&A form provided by the CAISO, 5/5/25
NIPPC and RNW comments to BPA in response to topics raised at its April 21st Transmission Planning Reform Workshop, 5/2/25
NIPPC and WPTF file joint comments before FERC in PacifiCorp’s EDAM proceeding, RE-25-951-000, 3/26/25
NIPPC submits comments to the UTC on the independent evaluator’s final report in Puget Sound Energy’s 2021 All-source RFP, UE 210220, 3/24/25
NIPPC comments on staff’s draft report in the OPUC’s IRP/RFP modernization docket, UM 2348, 3/14/25
NIPPC comments on staff’s recommendations in UM 2371, Portland General Electric’s 2025 RFP, 3/5/25
NIPPC comments to BPA on its proposed interim solutions for Network Integration Transmission Service (NITS), following its March 7workshop presentation on Access to Transmission Capacity Initial Alternatives, 3/19/25
NIPPC and WPTF joint filing to protest PacifiCorp’s EDAM filing at FERC, in PacifiCorp’s EDAM implementation docket, ER25-951-000, 2/18/25
NIPPC’s final workshop comments in UM2348, the OPUC’s IRP and RFP modernization investigation, 2/5/25
NIPPC’s comments to the CAISO as part of its annual policy initiatives roadmap on congestion allocation costs, highlighted by PacifiCorp’s EDAM implementation filing, 2/28/25
NIPPC comments following the January 30 BPA workshop to evaluate its Day-Ahead Market decision, 2/28/25
NIPPC comments to BPA on its transmission planning reform process, including NIPPC / RNW recommendations from their White Paper, 2/25/25
NIPPC comments on BPA’s proposed business practice of “requesting transmission service”, 2/15/25
NIPPC and Renewable Northwest’s joint direct testimony in the BPA BP-26 Rate Proceeding for the 2026-2029 rate period, 1/30/25
NIPPC’s comments on the draft rules on the implementation of CETA, and the ongoing dispute over the word ‘use’ in Washington UTC docket UE-210183, 11/27/24
NIPPC comments to Portland General Electric on its proposed tariff changes to implement EDAM, 11/22/24
NIPPC’s response brief to the OPUC regarding PacifiCorp’s HB 2021 compliance investigation, UM 2345, 12/11/24
NIPPC comments on OPUC staff’s report on the final shortlist for Portland General Electric’s 2023 All-Source RFP, UM 2274, including its request for a partial waiver of the competitive bidding rules, 11/15/24
NIPPC’s initial brief in UM 2345, the OPUC case looking at PacifiCorp’s continual progress towards HB 2021 compliance, 11/13/24
NIPPC comments to BPA on its November 5th day-ahead market workshop, recommending BPA delays its timeline for making a day-ahead market decision until the end of 2025, 12/6/24
NIPPC and Renewable Northwest’s comments to BPA on staff’s preliminary proposal on transmission RDC (reserves distribution clause) use in FY 2024, urging the BPA Administrator to return the accumulated surplus reserves to transmission customers as a credit, 11/22/24
NIPPC comments to the Washington State Department of Ecology on its Cap-and-Invest Linkage Rulemaking, 9/27/24
NIPPC comments to PGE on its proposed acreage requirements in its proposed business practice related to site control requirements for interconnection, 9/30/24
NIPPC’s petition to intervene in UM 2345, the OPUC case on PacifiCorp’s compliance with HB-2021, 9/13/24
NIPPC and Renewable Northwest comment to BPA on its BP/TC 26 September 25-26 workshop, 10/9/24
NIPPC and Renewable Northwest comment to BPA on its BP/TC 26 August 27/28 workshops, 9/12/24
NIPPC comments in case IPC-E-24-12, Idaho Power’s application for approval of a market purchase agreement focusing on competitive procurement rules in Idaho, 8/6/24
NIPPC comments on the OPUC staff report reviewing RA rules in Oregon for ESS providers, UM 2337, 8/27/24
NIPPC and Renewable Northwest submit response to the OPUC in UE-427, the case considering whether access should be granted to highly confidential bidder information from PGE’s 2021 RFP, 8/9/24
NIPPC’s updated comments on BPA’s revised notice to enforce TSR data exhibit requirements, 7/16/24
NIPPC and Renewable Northwest comments to BPA on its BP/TC 26 June 26 workshop on generator interconnection withdrawal penalties, non-EIM balancing, affected system studies, and attachment and transmission planning, 7/10/24
NIPPC comments on BPA’s June 3rd day-ahead market evaluation workshop, including outstanding NIPPC questions to the agency, 7/4/24
NIPPC joint comments to the UTC, urging the commission to revisit their interpretation of the term “use” in CETA rulemaking UE 210183, 6/21/24
NIPPC submits comments to the UTC in UE 210183, the commission’s docket to clarify the interpretation of CETA, the Clean Energy Transformation Act, 5/10/24
NIPPC, REC and CREA’s joint comments in UM 2000, the OPUC’s examination of the policies governing avoided cost rates for QFs in Oregon, 5/15/24
NIPPC comments to BPA in response to the BPA Tech Forum announcement that it will strictly enforce its Transmission Service Request data exhibit requirements, 6/4/24
NIPPC comments to BPA on staff’s day-ahead market recommendation leaning towards Markets+, 5/3/24
NIPPC’s second set of informal comments in the Washington Department of Ecology’s rulemaking on markets, 2/15/24
NIPPC’s pre-workshop comments in the Washington UTC’s rulemaking UE-210183, to consider the adoption of markets and compliance requirements for CETA, 2/16/24
NIPPC’s straw proposal on direct access issues in UM 2024, the OPUC’s investigation into long-term direct access programs, 2/29/24
Joint reply comments from NIPPC, Calpine and Brookfield Renewable in AR 660, the OPUC’s docket on the adoption of rules relating to resource adequacy in Oregon, 2/13/24
NIPPC comments on the commission staff’s report recommending acknowledgement of Idaho Power’s 2026 RFP final shortlist in UM 2255, Idaho Power’s RFP, 2/8/24