NIPPC letter to BPA Administrator, John Hairston requesting BPA to launch an initiative focused on reforming transmission planning and project execution to accelerate capacity upgrades, 2/9/23

NIPPC comments to BPA on its proposed business practice change to curtailments on 1:1 paths, 2/8/23

NIPPC comments on the BP-24 / TC-24 rate case workshops, July 29 & 30, addressing generation inputs, 8/10/22

NIPPC comments on BPA’s June 29th pre-rate case workshop, 7/13/22

NIPPC joint comments to BPA on its Financial Plan refresh, 6/16/22

NIPPC comments to BPA on revenue financing as part of the BPA Financial Plan refresh, 6/16/22

NIPPC comments on the BP-24 / TC-24 pre-rate case May 25th workshop, 6/8/22

NIPPC comments on the BP-24 / TC-24 rate case April 27th kick-off workshop, 5/11/22

NIPPC’s proposal to BPA on its Conditional Firm product, 5/02/22

NIPPC comments on BPA’s March 30 workshop on concurrent loss returns, 4/6/22

NIPPC comments on BPA Financial Policy Refresh, following their January 12 workshop, 1/19/22

Supporting statement to NIPPC testimony by Henry Tilghman, 2/3/21

Supporting statement to NIPPC testimony by Michael Goggin, 2/3/21

NIPPC’s comments on BPA’s IRP#2 Workshop, 3/24/21

Parties’ BP-22 settlement proposal to BPA, 4/28/21

NIPPC’s comments on BPA’s Financial Policy Refresh process,9/28/21

BPA Q3 Business Review – NIPPC Aug 17 workshop comments,9/9/21

NIPPC’s comments on BPA’s Financial Policy Refresh following workshop, 10/19/21

NIPPC and Renewable Northwest Petitions to intervene in the BP-22 and TC-22 rate cases, 12/4/20

NIPPC comments on BPA’s proposed ATC metrics, 10/8/20

NIPPC letter to US Dept. of Energy on BPA Administrator selection, 9/29/20

NIPPC comments on BPA’s August EIM Workshops, 9/18/20

NIPPC comments on BPA’s August 25 Workshop on Transmission Losses, 9/14/20

NIPPC comments on BPA’s EIM Workshops on July 27, 28 & 29, 8/12/20

NIPPC and Renewable Northwest submit a request to BPA for a customer-led workshop on EIM/TC-22/BP-22, 7/8/20

NIPPC letter to BPA regarding its Surcharge Relief proposal, BP-20E, 6/10/20

NIPPC comments on BPA’s May 19 workshop: Sellers Choice, 6/2/20

NIPPC comments on BPA’s 4/28 EIM Workshop, 5/12/20

NIPPC’s comments on BPA’s leverage policy and revenue financing as part of its Financial Plan Refresh process, 4/6/22

NIPPC comments on concurrent loss returns discussed during BPA’s January 26 workshop, 2/8/22
NIPPC urges BPA to revisit its prior assumptions for the agency’s Financial Policy Refresh, 2/9/22

Analysis of BPA’s Financial Plan Refresh, leverage policy, and credit ratings by Bart Oosterveld on behalf of NIPPC, 12/20/21

NIPPC comments on BPA’s September 29 EIM / BP-22 Workshop, 10/13/20

Joint customer group letter to BPA regarding its settlement proposal for transmission losses, 11/13/20

NIPPC’s letter to the U.S. Senate expressing support for additional Treasury borrowing authority for the Bonneville Power Administration, 8/7/21

NIPPC’s direct testimony in BPA’s BP-22 rate case, relating to BPA’s proposed transmission and ancillary services rates, 2/3/21

NIPPC letter to the US Dept. of Energy on criteria for BPA Administrator selection, 9/29/20

NIPPC’s motion to intervene in BPA’s expedited rate case on the proposed suspension of its financial reserves policy surcharge for the remainder of the BP-20 rate period, 6/24/20
