Comments on MA Increased Offshore Wind Procurements
NEPGA responses to questions posed by the Massachusetts Department of Energy Resources as to whether the additional 1,600 MW of offshore wind potential procurements should be utilized.
NEPGA responses to questions posed by the Massachusetts Department of Energy Resources as to whether the additional 1,600 MW of offshore wind potential procurements should be utilized.
NEPGA’s reply filed with the Massachusetts Department of Public Utilities following the protest of NEPGA’s intervention filed by the Electric Distribution Companies with regard to the proposed 20-year contract with Hydro Quebec over the New England Clean Energy Connect (Dockets 18-64, 18-65 and 18-66).
NEPGA initial comments filed with the Massachusetts Department of Public Utilities on consideration of three companion contracts for 20-years with Hydro Quebec over the New England Clean Energy Connect (Dockets 18-64, 18-65, 18-66).
NEPGA and Maine Renewable Energy Association (MREA) joint press release on Maine community meeting on the New England Clean Energy Connect transmission line proposal to carry Hydro Quebec power for Massachusetts.
NEPGA testimony on Massachusetts an a climate change bonding bill, including an outside section proposing a Clean Peak Standard (H4318)
Joint brief filed with the Massachusetts Supreme Judicial Court by NEPGA and GenOn in its appeal of the Massachusetts GHG regulations (SJC-12477).
NEPGA statement in response to the announcement of Northern Pass as the sole winner of the recent Massachusetts clean energy RFP
NEPGA and GenOn joint brief to Suffolk Country Superior Court on the Massachusetts greenhouse gas regulations on in-state power plants.
NEPGA comments to the Massachusetts Department of Environmental Protection on proposed amendments to CMR 7.75: Clean Energy Standard
Comments to the Massachusetts Department of Environmental Protection on their proposed move to an auction mechanism for GHG emissions allowances for power plants (310 CMR 7.74).