NEPGA Files Comments in Support of Uncontested Peak Energy Rent Settlement

NEPGA filed comments asking the Commission to approve the unopposed Offer of Settlement NEPGA and several other parties jointly filed on July 28, 2017, resolving the Peak Energy Rent (PER) Strike Price increase ordered by FERC in its order granting NEPGA’s complaint on the PER mechanism (Docket Nos. EL16-120 and ER17-2153).  NEPGA asks the Commission […]

NEPGA Files Answer in Net CONE Proceeding – No. ER17-795-000

NEPGA filed an Answer and Surrebuttal Testimony in the FERC proceeding addressing the Net CONE value for effect beginning in the twelfth Forward Capacity Auction (No ER17-795).  NEPGA responds to the answer ISO-NE filed on February 24, in which ISO-NE sought to refute the arguments NEPGA made in its February 3 Protest.  In its Protest, […]

NEPGA Files Motion for Clarification of Peak Energy Rent Order – No. EL16-120

NEPGA filed a Motion for Clarification, and in the alternative a Request for Rehearing, of FERC’s order granting NEPGA’s complaint on the Peak Energy Rent Adjustment mechanism (No. EL16-120).  NEPGA asks FERC to confirm that Peak Energy Rent Adjustment payments made by suppliers after September 30, 2016 (the refund effective date) are subject to refund. […]

NEPGA Protests ISO-NE Net CONE Proposal for FCA 12 _ No. ER17-795

NEPGA filed a Motion to Intervene and Protest, and supporting testimony from Tanya Bodell (Energyzt), opposing ISO-NE’s proposal to base the Net Cost of New Entry value for effect beginning in FCA 12 on a greenfield development, simple-cycle combustion turbine technology (No. ER17-795).  NEPGA argues that ISO-NE’s proposal will cause resource adequacy and market efficiency […]

NEPGA Files Post-Technical Conference Comments on Transmission Rate Treatment for New Energy Storage Resources – No. AD16-25

NEPGA filed Post-Technical Conference Comments in response to FERC’s November 9 Technical Conference regarding the utilization of electric storage resources as transmission assets compensated through transmission rates (No. AD16-25).  NEPGA takes the position that FERC should not adopt a rule granting all new energy storage resources transmission rate cost recovery.