NEPGA requested the opportunity to properly analyze and further comment on the proposed revisions to HB 1434.
Abatement of air Pollution from Electric Generating Units with a Nameplate Capacity Equal to or Greater than Twenty-Five Megawatts
NEPGA submitted Comments to the Connecticut Commissioner of Environmental Protection for the rulemaking proceeding to adopt rules concerning the abatement of air pollution from electric generating units with a nameplate capacity equal to or greater than twenty-five megawatts.
NEPGA submitted Comments to the Connecticut Energy Advisory Board’s (“CEAB”) on Electric Distribution Companies’ Procurement Plan for Connecticut dated January 1, 2008.
Comments were filed to Chairman Morrisey on the Senate Re-draft of HB 4373.
NEPGA filed preliminary comments in opposition to House Bill 1499-FNA. NEPGA argued against the tax plan in the Bill.
NEPGA filed comments in Connecticut DPUC Docket No. 07-06-62 – DPUC Report to the Connecticut General Assembly on Electric Reliability.
NEPGA filed comments in Connecticut DPUC Docket No. 07-08-24 – DPUC Investigation of the Process and Criteria for Use in Implementing Section 50 of Public Act 07-242 – Peaking Generation.
NEPGA filed comments to the Massachusetts Department of Energy Resources on proposed regulations for rules for conducting auctions of CO2 allowances created under the massachusetts CO2 Budget Trading Program, 225 CMR 13.00 and 310 CMR 7.70, in compliance with the Regional Greenhouse Gas Initiative.
Maine Department of Environmental Protections Proposed 06-096 CMR, Chapter 156: CO2 Budget Trading Program and 06-096 CMR, Chapter 157:CO2 Budget Trading Program
NEPGA filed comments on the Maine Department of Environmental Protections Proposed 06-096 CMR, Chapter 156: CO2 Budget Trading Program and 06-096 CMR, Chapter 157:CO2 Budget Trading Program Waiver and Suspension.
NEPGA filed comments with the Maine Public Utilities Commission – Docket NO 2007-317 – Inquiry Regarding the RE-entry of Electric Utilities into the Energy Supply Business.