NIPPC comments on Avista’s amended 2025 RFP, in UE 250155 at the Washington UTC

NIPPC submits comments for the UTC to review in Avista’s draft 2025 RFP, UE 250155

NIPPC comments on the commission’s proposed rules in its IRP/RFP modernization docket, AR 669, focusing on utility access to confidential bidder information,

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

NIPPC submits comments to the UTC on the independent evaluator’s final report in Puget Sound Energy’s 2021 All-source RFP, UE 210220

NIPPC comments on staff’s draft report in the OPUC’s IRP/RFP modernization docket, UM 2348

NIPPC comments on staff’s recommendations in UM 2371, Portland General Electric’s 2025 RFP

NIPPC’s final workshop comments in UM2348, the OPUC’s IRP and RFP modernization investigation

NIPPC’s response brief to the OPUC regarding PacifiCorp’s HB 2021 compliance investigation, UM 2345

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

NIPPC’s initial brief in UM 2345, the OPUC case looking at PacifiCorp’s continual progress towards HB 2021 compliance

NIPPC’s petition to intervene in UM 2345, the OPUC case on PacifiCorp’s compliance with HB-2021

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’s comments on Puget Sound Energy’s voluntary RPF docket UE 240532, 7/31/24

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 comments on OPUC staff’s report on Idaho Power’s draft RFP, UM 2317, 8/9/24

NIPPC’s comments to the OPUC on Idaho Power’s 2028 RFP, in docket UM 2317, 6/3/24

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 submits comments to the UTC on PSE’s request for a rate of return on PPAs, 3/1/24

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

NIPPC, REC and CREA, jointly the QF trade associations, submit comments on staff’s straw proposal on standard solar-plus-storage rates in Oregon, as part of UM 2000, the OPUC’s investigation into PURPA implementation, 4/25/23

NIPPC comments to the OPUC in UM 2274, Portland General Electric’s request to waive certain competitive bidding guidelines from its 2023 All-Source RFP, 4/13/23

NIPPC’s comments to the OPUC in UM 2255, Idaho Power’s draft RFP to meet 2026 capacity needs, 3/17/23

NIPPC’s final comments and issues matrix in UM 2274, PGE’s RFP docket, 12/21/23

NIPPC’s comments to the Montana PSC on Northwestern Energy’s 2023 IRP, docket 2022.11.102, 10/6/23

NIPPC’s comments in UM 2274 on PGE’s supplemental filing related to its affiliate, Portland Renewable Resource Co. (PRP) bidding into its RFP, 11/17/23

NIPPC’s response to PGE’s motion for clarification or reconsideration in UI 489, PGE’s refiled affiliate application, 9/27/23

NIPPC’s comments in UM 1631, PGE’s waiver request to provide limited load forecasting information for its Green Future Enterprise (GFE) program, 8/28/23

NIPPC comments on PacifiCorp’s Solar + Storage rate in UM 1729, 8/28/23

NIPPC comments in UI 489, PGE’s refiled affiliate application, 8/4/23

NIPPC comments opposing approval of PGE’s application to form an affiliate to bid in its RFP process, docket UI 489, 6/29/23

Expert report on imputed debt, authored by Michael Gorman for NIPPC, as part of the coalition’s filings in UM 2274, PGE’s RFP case, 6/21/23

NIPPC’s comments on PGE’s requests for acknowledgement of its draft RFP, and a partial waiver of the competitive bidding rules in UM 2274, 6/16/23

NIPPC’s comments and updated issues list filed in OPUC docket UM 2255, updating NIPPC’s position following staff’s report in Idaho Power’s RFP, 6/6/23

NIPPC submits comments on staff’s report in Idaho Power’s 2026 draft RFP, in UM 2255, 5/9/23

NIPPC’s final comments in AR 631, the OPUC case on proposed rules for standard PPA contract terms and conditions, 2/16/23

NIPPC’s supplemental comments in MPSC docket 2021.01.007, the implementation of HB 597 regarding utility competitive procurement and resource planning practices, 11/28/22

NIPPC, REC and CREA’s joint comments on the amendments to the proposed rules, in AR 631, the OPUC’s rulemaking on standard QF contract terms, 12/16/22

NIPPC comments to the Washington UTC in UE-210795, Puget Sound Energy’s 2021 Clean Energy Implementation Plan (CEIP), 3/2/22

NIPPC comments on the Southwest Power Pool’s draft proposal for Western Day-Ahead market and related services, 10/28/22

NIPPC’s comments on SPP’s Markets+ design document, 9/15/22

NIPPC, REC and CREA’s joint reply comments in AR 631, the OPUC’s rulemaking on standard QF contract terms, 10/7/22

NIPPC, REC and CREA’s joint comments on Group 2 rules in AR 631, the OPUC’s rulemaking on standard contract terms for qualifying facilities, 9/16/22

NIPPC, REC and CREA submit post hearing reply brief in UM 2032, the OPUC’s docket on network upgrade cost allocation and interconnection service, 9/2/22

NIPPC comments on the CAISO EDAM revised straw proposal, following the Q&A format requested from stakeholders by CAISO, 9/26/22

NIPPC’s pre-hearing comments in the Montana PSC’s RFP rulemaking docket 2021.01.007, 8/10/22

NIPPC’s response to PacifiCorp’s Motion to Dismiss before the Deschutes County Court in NewSun’s objection to PacifiCorp’s RFP, UM 2193, 8/25/22

NIPPC’s motion to intervene in PacifiCorp’s RFP appeal, before the Deschutes County Court in UM 2193, 8/23/22

NIPPC, REC and CREA submit comments in UM 2032, the OPUC’s investigation into network upgrade costs for qualifying facilities, 8/5/22

NIPPC’s joint comments to the Oregon commission in UM 1728,the docket addressing PGE’s 2022 annual update to avoided cost prices,6/28/22

NIPPC submits joint comments on the prehearing brief in UM 2032, the OPUC’s investigation into the treatment of QF’s with respect to network upgrades, 6/3/22

NIPPC, REC and CREA submit comments on the final proposed staff rules for standard QF contract terms in AR 631, 5/11/22

NIPPC’s comments on the WUTC April 19 workshop in U-210590, the commission’s policy statement addressing alternatives to traditional cost of service rulemaking, 4/27/22

NIPPC comments to the Washington UTC in UE-210183, the CETA implementation rulemaking, 4/22/22

NIPPC, REC and CREA files comments in UM 2111, on staff’s report on how to improve the interconnection process and policies for generators in Oregon, 4/18/22

NIPPC comments on staff’s initial report in UM 2143, the OPUC staff investigation into Resource Adequacy in Oregon, 4/14/22

NIPPC’s final comments in PacifiCorp’s RFP proceeding, UM 2193,4/11/22

NIPPC, REC and CREA submit supplemental comments in AR 631,the rulemaking on standard contract terms for PPA’s 4/6/22

NIPPC, REC, and CREA’s filing, as the QF Trade Associations, with reply comments to staff’s draft rules for standard QF contract terms and conditions in AR 631, 3/25/22

NIPPC’s petition to intervene in UE-400, PacifiCorp’s TAM proceeding,3/21/22

NIPPC, REC, and CREA submit comments in formal rulemaking on standard contract terms for PPAs in AR 631, 3/11/22

NIPPC’s petition to intervene in UE-399, PacifiCorp’s rate case at the OPUC, 3/21/22

NIPPC comments to the OPUC on Idaho Power’s Application forWaiver of Competitive Bidding Rules and in response to the Staff Report in docket UM 2210, 3/7/22

NIPPC’s joint comments at the Washington UTC in UE-210628,Avista’s 2021 Clean Energy Implementation Plan (CIEP), 1/28/22

NIPPC’s application for clarification or reconsideration in UM 2166,PGE’s application to have an affiliate bid into its RFP process, 1/21/22

John Lowe’s second reply testimony in UM 2032, the proceeding to investigate the treatment of qualifying facilities for network upgrades,1/19/21

Joint petitioners’ motion for stay at the Oregon Circuit Court, Marion County, in UM 2108, the docket setting the standard contract terms for QF’s, 1/13/22

NIPPC’s petition to intervene in UM 2210, Idaho Power’s application for waiver of competitive bidding rules, 1/12/22

NIPPC’s joint letter to the PUC commissioners regarding interconnection issues, in UM 2011, the OPUC’s general capacity investigation, 1/4/22

NIPPC’s reply, in conjunction with REC and CREA, to PGE’s Motion to Lift Stay in UM 1987, PGE’s standard contract for PPA’s docket at the OPUC, 1/15/21

NIPPC’s Comments in Reply to PacifiCorp’s Request for Waiver relevant to its 2020 All-Source RFP in UM 1631, 1/21/21

NIPPC, REC and CREA submit joint letter to the OPUC regarding PURPA contract disputes, 2/24/21

NIPPC’s files comments supporting OPUC Staff memo on PacifiCorp’s Request for Waiver relevant to its 2020 All-Source RFP in UM 1631,2/19/21

NIPPC, REC, and CREA file comments to the OPUC on standard contract terms for PPAs in AR 631, 3/30/21

NIPPC comments to the OPUC on Portland General Electric’s 2019 IRP Update in LC 73, 3/10/21

NIPPC, REC, and CREA file comments to the OPUC on the best process for developing streamlined standard contracts for PPAs in AR 631, 4/29/21

NIPPC letter to Chief ALJ Moser with redline comments on codifying the OPUC’s policy on stakeholder access to confidential information as part of commission proceedings in AR 641, 4/20/21

NIPPC’s petition to intervene at the OPUC in UM 2166, docket for the selection of an independent evaluator for PGE’s All-source RFP,5/6/21

NIPPC, REC and CREA file a response to the OPUC in its investigation into the treatment of network upgrade costs for qualifying facilities in UM 2032, 6/28/21

NIPPC, REC, and CREA file comments on staff’s revised proposal for standard PURPA contract terms in Oregon in AR 631, 6/9/21

NIPPC’s joint comments with REC on PGE’s 2021 annual update to avoided costs in UM 1728, 6/8/21

NIPPC’s joint comments with REC on PGE’s 2021 annual update to avoided costs in UM 1728, 6/8/21

NIPPC’s U-210595 – WUTC Intervenor funding docket 9/10/21

NIPPC’s joint comments on staff’s draft rules for standard PPA contracts in AR631, 9/20/21

NIPPC’s joint comments on staff’s proposed terms for standard PPA contracts in AR 631, 8/12/21

NIPPC, REC and OSSIA petition at the Oregon Court of Appeals for reconsideration in UM 2108 – PacifiCorp’s Interconnection Appeal 8/3/21

NIPPC letter to Avista on its Generator Interconnection Process Reform, 10/07/21

NIPPC comments on PSE’s draft All Source RFP UE-210220,10/22/21

NIPPC’s recommendation on staff proposed rules in AR 631, 10/19/21

NIPPC’s comments on staff’s updated proposal for QF contracting process and PPA contract terms in AR 631, 10/19/21

NIPPC comments on the rate of return for PPAs in WUTC docket U-210590, 11/29/21

Joint comments in proceeding UE-210818 on PSE’s proposed optional interconnection tariff for qualifying facilities, 11/23/21

NIPPC comments in UM 2193, PacifiCorp’s scoring and methodology proposal for its 2022 All-source RFP, 11/22/21

NIPPC response to PGE’s request for a time extension to file its 2022 IRP in LC-73, 11/12/21

NIPPC comments on PGE’s 2022 All-source RFP in UM 2166, 11/1/21

NIPPC / REC joint comments on Avista’s schedule 62 tariff revisions in UTC docket, UE-210815, 12/8/21

NIPPC comments on double counting and storage in UE-210183, the UTC’s docket on rules for the implementation of the Clean Energy Transformation Act, 12/6/21

NIPPC’s response to the ALJ’s December 3rd memo outlining the issues to be addressed in AR 631, the case addressing the standard contract terms for qualifying facilities, 12/10/21

NIPPC’s joint comments in UM 2011, the OPUC’s general capacity investigation, 12/3/21

NIPPC, REC, and CREA challenge the OPUC’s jurisdiction over PURPA contract disputes at the Oregon Court of Appeals in the case against PGE, 12/22/20
