Today, the Alliance submitted a letter regarding Dominion Energy’s Integrated Resource Plan (IRP) for 2018 and the role of CHP and WHP in Dominion’s next IRP to be released in 2020. The Grid Transformation and Security Act of 2018 (SB 966) directs Dominion Energy to...
Publications
Alliance Comments on Standby Rate Review for Indiana Commission
The Alliance submitted comments in response to the Indiana Utility Regulatory Commission Backup, Maintenance, and Supplemental Power Rate Review Draft Report. In our comments, the Alliance expressed concerns with the Draft Report’s conclusion that the electric...
Alliance Comments Urge Virginia to Focus on CHP, WHP, and Energy Efficiency Broadly in its 2018 Energy Plan
The Alliance submitted two sets of comments to the Virginia Department of Mines, Minerals and Energy (DMME) regarding recommendations for Virginia’s 2018 Energy Plan. The first set of comments, which were submitted in partnership with Columbia Gas of Virginia and...
Alliance Comments to Maryland Public Service Commission Ask for Clarity in Proposed Regulation Affecting Small CHP and WHP Systems
The Alliance submitted comments to the Maryland Public Service Commission requesting clarity on a recently proposed regulation that would affect “small” (<2 MW) CHP systems. Historically, in Maryland, utilities have not been required (nor allowed) to monitor and...
CHP In State Energy Plans
Alliance Opposition Testimony on Substitute House Bill 114 in Ohio
The Alliance submitted written testimony to the Ohio legislature opposing legislation (Substitute House Bill 114) that would create a special exemption for mid-size (“mercantile”) customers to the state’s energy efficiency programs. Our testimony explained that the...