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 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 statement encouraging the OPUC and state agencies to support accelerated procurement in the state, following up on Gov. Kotek’s EO 25-25, 11/26/25
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’s prehearing comments on proposed revisions to the OPUC’s competitive bidding rules in AR 669, 10/20/25
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 final comments on PacifiCorp’s 2025 RFP in OPUC docket UM 2383, 8/22/25
NIPPC’s final comments in AR 669, the OPUC rulemaking to amend IRP guidelines and competitive bidding rules, 8/20/25
NIPPC’s opening comments in the IPUC’s proposed RFP rules docket (GNR-E-25-01), 7/24/25
NIPPC comments in PacifiCorp’s draft RFP before the Washington UTC (UE-250460), 7/25/25
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 comments on PacifiCorp’s draft Oregon RFP, UM 2383, 7/7/25
NIPPC’s statement of support for Washington efforts to accelerate energy project deployment, following Gov. Bob Ferguson’s executive order 25-11, 12/19/25
NIPPC statement encouraging the OPUC and state agencies to support accelerated procurement in the state, following up on Gov. Kotek’s EO 25-25, 11/26/25
NIPPC comments on Avista’s amended 2025 RFP, in UE 250155 at the Washington UTC, 5/21/25
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 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’s final workshop comments in UM2348, the OPUC’s IRP and RFP modernization investigation, 2/5/25
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’s petition to intervene in UM 2345, the OPUC case on PacifiCorp’s compliance with HB-2021, 9/13/24
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’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