NIPPC comments on the facilitation of a consumer led workshop series in U-230161, the UTC’s investigation on the impact of the Climate Commitment Act on IOUs in Washington state, 5/10/23
NIPPC comments on the second draft rules for the implementation of CETA in rulemaking UE-210183, 2/9/22
NIPPC comments to the Washington Department of Ecology on the draft Cap & Invest Program Rules, 1/26/22
NIPPC Proposals to the Oregon PUC on Implementing the Governor’s Executive Order 04-20 to decarbonize Oregon’s Power System, 5/8/20
NIPPC responds to the OPUC’s May 15th Report on steps it can take to help implement the Governor’s GHG Executive Order No. 20-04, 6/15/20
NIPPC comments to the OPUC on its draft work plans in response to Governor Brown’s Executive Order 20-04, 10/30/20
NIPPC filing on the interpretation of the term “Use” in the implementation of CETA in UE-191023, 12/3/20
NIPPC filing on the interpretation of the term “Use” in the implementation of CETA in UE-191023, 12/3/20
NIPPC’s comments on Draft Rules in UE-210183 providing an interpretation of the term “use” in the Clean Energy Transformation Act, 11/12/21
NIPPC’s letter to the Washington UTC and Dept. of Commerce, stating its interpretation of the term “use” in the implementation of the Clean Energy Transformation Act (CETA), UE-191023, 8/10/20
NIPPC comments on clean energy implementation and compliance with the Clean Energy Transformation Act (CETA), UE-191023, 2/28/20
NIPPC urges the OPUC to harness the expertise of independent power and regionalized markets to reduce Oregon’s greenhouse gas emissions in response to Oregon Governor Kate Brown’s Executive Order No. 20-04, 6/15/20