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 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 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 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 comments in Montana PSC docket 2022.09.087 regarding data center loads and resource adequacy in Montana, 5/2/25
NIPPC comments on the OPUC staff report reviewing RA rules in Oregon for ESS providers, UM 2337, 8/27/24
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’s opening comments in AR 660, the OPUC’s rulemaking into resource adequacy, 8/1/24
NIPPC’s comments on staff’s updated straw proposal in UM 2143, the OPUC’s resource adequacy investigation, 3/13/23
NIPPC submits comments on staff’s report in UM 2143, the OPUC’s investigation into resource adequacy in Oregon, 9/18/23
NIPPC’s comments on staff’s draft resource adequacy rules proposal in UM 2143, the OPUC’s investigation into resource adequacy in Oregon, 6/12/23