NIPPC comments on FERC proceeding on regional transmission planning and generator interconnection, RM 21-17-000, 10/12/21

NIPPC’s direct testimony in BPA’s BP-22 rate case, relating to BPA’s proposed transmission and ancillary services rates, 2/3/21

NIPPC highlights PacifiCorp’s proposed Interconnection Procedures as non-compliant with FERC Regulations, 4/10/20

NIPPC and REC file comments on Avista’s Contracting Procedures in PURPA Compliance Proceeding UE-190663 at the WUTC

NIPPC’s comments to the commission in Washington’s competitive procurement rulemaking, UE-190837, 9/14/20

NIPPC letter to the US Dept. of Energy on criteria for BPA Administrator selection, 9/29/20

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’s comments to BPA following its July EIM workshops, raising concerns over the tariff and rates changes BPA must implement in order to participate in the EIM, 8/12/20

NIPPC submits comments to the WUTC on Puget Sound Energy’s proposed all-source RFP, UE-200414, 7/6/20

NIPPC’s motion to intervene in BPA’s expedited rate case on the proposed suspension of its financial reserves policy surcharge for the remainder of the BP-20 rate period, 6/24/20

NIPPC submits comments to the OPUC on ‘how capacity should be valued’ as part of the commission’s general capacity investigation, UM 2011, 1/13/20

NIPPC comments on the Washington commission’s resource acquisition rulemaking, UE-190837, 6/22/20

NIPPC comments on PacifiCorp’s draft 2020 all-source request for proposal (RFP), UM 2059, 5/22/20

NIPPC’s closing comments in the commission’s investigation into long-term direct access program, UM 2024, 5/6/20

NIPPC submits recommendations to the commission, as it considers how to implement Governor Brown’s executive order to reduce greenhouse gases, E0 20-04, 5/8/20

NIPPC comments on clean energy implementation and compliance with the Clean Energy Transformation Act (CETA), UE-191023, 2/28/20

NIPPC’s joint comments in PURPA dispute resolution rulemaking, AR 629, 2/28/20

NIPPC’s intervention before FERC in PacifiCorp’s proposed interconnection queue reforms, ER20-924-000, 2/21/20

NIPPC’s joint comments on PSE’s & Avista’s PURPA compliance filings, UE-190663/5/6, 12/3/19

NIPPC’s joint letter to the commission on Avista’s PURPA compliance filing, UE-190663, 1/6/20

NIPPC’s opening brief in PGE’s proposed tariff filing to implement its large New Load Direct Access (NLDA) program, UE 358, 11/14/19

NIPPC urges the WUTC and the Washington Department of Commerce to adopt a procurement-based framework rather than a delivery-based framework for implementing the Clean Energy Transformation Act, 8/10/20

NIPPC files testimony before the OPUC on the voluntary renewable energy tariff proceeding (UM 1953) to ensure that Oregon electricity customers have multiple options for reducing carbon emissions, 7/16/20

NIPPC files follow-up comments with the OPUC to improve PacifiCorp’s proposed All Source Request for Proposals, 6/26/20

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

NIPPC files comments with the WUTC recommending appropriate ways to implement a return-on-PPA provision in Puget Sound Energy’s proposed All Source Request for Proposals, 7/6/20

NIPPC files comments with FERC on PacifiCorp’s response to FERC’s deficiency letter on its proposed interconnection reform, 4/10/20

NIPPC releases a statement and principles on the creation of a regional resource adequacy program, 9/14/20

NIPPC’s Opening Comments in PacifiCorp’s 2019 IRP Docket, LC 70, before the Oregon PUC, 1/10/20
