NEPGA filed comments supporting the ISO-NE/NEPOOL proposal to eliminate the ISO-NE Tariff requirement that ISO-NE publish De-List Bid prices following each Forward Capacity Auction.
NEPGA filed a protest asking FERC to reject ISO-NE’s proposed Installed Capacity Requirement values for the three Forward Capacity Market Annual Reconfiguration Auctions that will be run in calendar year 2016 (ER16-446). NEPGA explains that ISO-NE failed to consider the potential market and operational consequences of reducing ICR based on ISO-NE’s forecast of incremental behind […]
NEPGA filed a Motion to Intervene and Protest in response to ISO-NE’s proposal to reduce the FCA 10 Installed Capacity Requirement by 390 MW based on its forecast of incremental behind the meter solar PV capacity not otherwise captured in the peak load forecast.
NEPGA filed comments in support of ISO-NE’s compliance filing of tariff changes defining the Winter Reliability Program payment rate formula (No. ER15-2208-002), thanking the Commission for ordering the compliance filing in response to NEPGA’s and EPSA’s joint request to do so, and emphasizing the need to reflect material practices and conditions in the ISO-NE Tariff, […]
NEPGA-supported brief by a group of noted economists to the Supreme Court of the United States on the FERC v EPSA case of compensation and jurisdiction with respect to demand response resources (Nos. 14-840, 14-841)
NEPGA amended protest and answer on ISO New England’s proposed capacity zones and lack of zonal demand curves.
NEPGA Motion for Leave to Answer and Answer_No. ER15-716.
NEPGA Answer at the Federal Energy Regulatory Commission to Public Citizen Request for Rehearing of FCA 8 results (Docket No. EL14-99 and ER15-117).
NEPGA comments to Federal Energy Regulatory Commission on the definition of Renewable Technology Resources to include On-Peak Demand Response (Docket No. ER15-716).
NEPGA Answer to respondents on NEPGA’s Peak Energy Rent Complaint at the Federal Energy Regulatory Commission (Docket No. EL15-25).