Interconnection Customer Coalition’s response to Staff’s November 23rd report denying a reconsideration in UM 2108, PacifiCorp’s Queue Reform Proposal proceeding, 11/30/20
NIPPC, as part of the Interconnection Customer Coalition, files in support of NewSun Energy’s motion at the OPUC in UM 2032, the proceeding investigating the treatment of QFs for network upgrades, 12/1/20
NIPPC comments on the commission’s draft RFP rules, recommending that the UTC stick to a robust process in UE-190837, 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 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, CREA and OSEIA petition the Circuit Court in UM 2108, PacifiCorp’s Queue Reform Proposal, 1/29/21
Joint customer group letter to BPA regarding its settlement proposal for transmission losses, 11/13/20
NIPPC and Renewable Northwest ask BPA for a customer-led Workshop on BPA’s joining of the EIM, 7/8/20
NIPPC Feedback on Resource Adequacy Program Implementation to the Northwest Power Pool following its Stakeholder Advisory Committee Meeting, 4/8/20
NIPPC files Comments and a Motion to Intervene in PacifiCorp’s Queue Reform Proposal before FERC, 2/21/20
NIPPC intervention in BP-20E requesting that any suspension of its Financial Reserves Policy Surcharge benefit transmissions and power customers equally, 6/24/20
NIPPC Submits Comments to BPA on its Losses on Scheduled Transactions and Allocation of Charge Codes, 1/7/20
NIPPC submits comments to BPA on its proposal to suspend Financial Reserves Policy Surcharge for Power customers, 6/10/20
NIPPC’s Review of the NWPP’s Conceptual Design Document for a Regional Resource Adequacy Program, 9/11/20
NIPPC’s Summary of the FERC Order on PacifiCorp’s Queue Reform Tariff Revisions, Docket No. ER 20-924, 5/13/20
NIPPC’s letter in support of the -3 amendment of HB 4059, the labor standards bill fix for Oregon’s 100% clean energy legislation, 2/7/22
NIPPC comments to the Western Power Pool on its January governance proposal for the Western Resource Adequacy Program, 2/18/22
NIPPC comments on PacifiCorp’s 2022 All-Source RFP before the Washington commission in UE-210979, 2/14/22
NIPPC comments to the Washington Department of Ecology on the draft Cap & Invest Program Rules, 1/26/22
NIPPC’s reply comments on the revision of Montana’s RFP rules in MPSC docket no. 2021.01.007, 12/7/21
NIPPC’s comments in UI 461, Portland General Electric’s affiliate proposal for OPUC meeting, 12/12/21
NIPPC’s reply comments on planning, cost allocation and interconnection in FERC ANOPR RM21-17-000, 11/30/21
Analysis of BPA’s Financial Plan Refresh, leverage policy, and credit ratings by Bart Oosterveld on behalf of NIPPC, 12/20/21
Memo on PGE Filing for Green Energy Affinity Rider or “GEAR”, a new term for Phase 1of the VRET, 4/18/19
NIPPC’s Initial Comments on Policy Issues relating to Oregon’s Long-Term Direct Access Programs in UM 2024, 3/16/20
NIPPC’s Closing Comments in UM 2024, the OPUC’s Investigation into Long-Term Direct Access Programs in Oregon, 5/6/20
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, REC and CREA garner support for HB 2857 which among other things requires that 8% of the electricity sold within Oregon be generated by small-scale renewable energy power projects, 3/18/19
NIPPC, REC, CREA joint supporting testimony for OPUC Mission Bill HB 2855 submitted for committee hearing, 3/28/19
NIPPC and Avangrid’s rationale for HB 2020-84 to include language that protects competition in the power industry, 5/14/19
NIPPC and Avangrid Q&A on the impact of Cap and Invest bill HB 2020 on Direct Access and ESS providers in Oregon, 5/21/19
NIPPC once again argues for competition and fair market treatment for direct access suppliers and their customers in HB 2020 -100, 6/4/19
Joint customer group letter to BPA regarding its settlement proposal for transmission losses, 11/13/20
NIPPC filing on the interpretation of the term “Use” in the implementation of CETA in UE-191023, 12/3/20
Interconnection Customer Coalition’s response to Staff’s November 23rd report denying a reconsideration in UM 2108, PacifiCorp’s Queue Reform Proposal proceeding, 11/30/20
NIPPC submits comments to the Oregon House Committee on Energy and Environment on Oregon’s proposed 100% Clean Energy Bill, HB 2021, 4/8/21
NIPPC comments to the Washington Senate Committee on Energy, Environment and Technology on Governor Inslee’s proposed Climate Commitment Act, SB 5126, 1/18/21
NIPPC comments to the Washington Senate Committee on Ways and Means, recommending changes to SB 5126, the cap and trade bill, 3/16/21
NIPPC submits comments to the Oregon House Committee on Energy and Environment on Oregon’s proposed 100% Clean Energy Bill, HB 2021, 3/22/21
NIPPC’s letter to the U.S. Senate expressing support for additional Treasury borrowing authority for the Bonneville Power Administration, 8/7/21
NIPPC filing on the interpretation of the term “Use” in the implementation of CETA in UE-191023, 12/3/20
NIPPC submits comments to the Washington commission in UE-210220, Puget Sound Energy’s proposed all-source 2021 RFP, 5/17/21
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 comments on Section 205 filing rights for a states committee of the Western Resource Adequacy Program, 11/12/21
NIPPC submits a straw proposal recommending modifications for Oregon’s regulatory implementation of the Direct Access Program in UM 2024, 8/23/21