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Weekly Digest
Application of PACIFIC GAS AND ELECTRIC COMPANY (U39E) for Review of the Disadvantaged Communities – Green Tariff, Community Solar Green Tariff and Green Tariff Shared Renewables Programs.
Renewable Energy Programs Update
The recent documents related to A22-05-022 provide a comprehensive update on the state of renewable energy programs in California, focusing on the Net Value Billing Tariff (NVBT) and community solar projects. Here's a breakdown of the key points and positions from various stakeholders:
Overview of Renewable Energy Programs
- The NVBT and community solar projects are at the forefront, with discussions on their potential to expand renewable energy access.
- Criticisms target the Avoided Cost Calculator (ACC) for not fully recognizing the benefits of NVBT and potentially undermining renewable energy efforts.
Comments on Proposed Decision
- The Coalition for Community Solar Access expresses concerns about the proposed decision not aligning with Assembly Bill 2316 and the potential cost shifts to nonparticipating customers.
- Solar Landscape Origination LLC criticizes Pacific Gas and Electric Company's green tariff programs, suggesting modifications to better serve low-income households and increase the capacity of the Disadvantaged Communities Green Tariff Program (DAC-GT).
FERC Orders and Cases
Discussions include FERC orders related to electric storage and distributed energy resources, emphasizing that community solar facilities and utilities do not engage in wholesale sales.
Treatment of Credits
The treatment of credits from net metering and community solar is debated, with a focus on retail rate design under state jurisdiction.
Solar for All Program and National Community Solar Partnership
The document highlights the importance of targeting low-income households and recommends utilizing various funding sources for renewable energy projects.
Potential Modifications to the NVBT
Suggestions include implementing a net surplus compensation framework and applying it to all surplus energy at the end of the NVBT facility’s Relevant Period.
Recommendations for the NVBT Program
The NVBT program is praised for its flexibility and contribution to peak load reductions, with a call for the Commission to confirm NVBT resources as load modifiers.
Use of Funding Sources
Recommendations include utilizing state and federal funding sources like AB 102 and the Greenhouse Gas Reduction Fund for renewable energy projects.
Targeting Low-Income Households
Emphasizes the importance of automatic enrollment and flat monetary credits on bills for existing program participants.
Challenges with PURPA Prices
Discusses the challenges with PURPA prices in attracting developers to community solar projects and suggests using additional funds to incentivize participation.
Stakeholder Comments
- Valta Energy and The Clean Coalition support the NVBT for its potential to democratize access to solar energy and promote equitable distribution of economic benefits.
- Concerns are raised about the commercial viability of the Community Renewable Energy Program (CREP) and the adequacy of compensation under PURPA’s framework.
Concusion
The documents collectively underscore the potential savings and advantages of deploying NVBT for renewable energy programs in California. Stakeholders urge the Commission to modify or reject the Proposed Decision based on these findings, highlighting the need for a program that benefits all ratepayers, promotes energy efficiency, and ensures participation from low-income households.
Bill to cut California's industrial emissions, shift to zero-emission tech, and prioritize disadvantaged communities by 2045
Renewable Energy Programs Update
The recent documents related to A22-05-022 provide a comprehensive update on the state of renewable energy programs in California, focusing on the Net Value Billing Tariff (NVBT) and community solar projects. Here's a breakdown of the key points and positions from various stakeholders:
Overview of Renewable Energy Programs
- The NVBT and community solar projects are at the forefront, with discussions on their potential to expand renewable energy access.
- Criticisms target the Avoided Cost Calculator (ACC) for not fully recognizing the benefits of NVBT and potentially undermining renewable energy efforts.
Comments on Proposed Decision
- The Coalition for Community Solar Access expresses concerns about the proposed decision not aligning with Assembly Bill 2316 and the potential cost shifts to nonparticipating customers.
- Solar Landscape Origination LLC criticizes Pacific Gas and Electric Company's green tariff programs, suggesting modifications to better serve low-income households and increase the capacity of the Disadvantaged Communities Green Tariff Program (DAC-GT).
FERC Orders and Cases
Discussions include FERC orders related to electric storage and distributed energy resources, emphasizing that community solar facilities and utilities do not engage in wholesale sales.
Treatment of Credits
The treatment of credits from net metering and community solar is debated, with a focus on retail rate design under state jurisdiction.
Solar for All Program and National Community Solar Partnership
The document highlights the importance of targeting low-income households and recommends utilizing various funding sources for renewable energy projects.
Potential Modifications to the NVBT
Suggestions include implementing a net surplus compensation framework and applying it to all surplus energy at the end of the NVBT facility’s Relevant Period.
Recommendations for the NVBT Program
The NVBT program is praised for its flexibility and contribution to peak load reductions, with a call for the Commission to confirm NVBT resources as load modifiers.
Use of Funding Sources
Recommendations include utilizing state and federal funding sources like AB 102 and the Greenhouse Gas Reduction Fund for renewable energy projects.
Targeting Low-Income Households
Emphasizes the importance of automatic enrollment and flat monetary credits on bills for existing program participants.
Challenges with PURPA Prices
Discusses the challenges with PURPA prices in attracting developers to community solar projects and suggests using additional funds to incentivize participation.
Stakeholder Comments
- Valta Energy and The Clean Coalition support the NVBT for its potential to democratize access to solar energy and promote equitable distribution of economic benefits.
- Concerns are raised about the commercial viability of the Community Renewable Energy Program (CREP) and the adequacy of compensation under PURPA’s framework.
Concusion
The documents collectively underscore the potential savings and advantages of deploying NVBT for renewable energy programs in California. Stakeholders urge the Commission to modify or reject the Proposed Decision based on these findings, highlighting the need for a program that benefits all ratepayers, promotes energy efficiency, and ensures participation from low-income households.
Streamline approval process for upgrading transmission facilities by allowing advanced reconductoring projects without construction permits, reducing costs and improving efficiency
Renewable Energy Programs Update
The recent documents related to A22-05-022 provide a comprehensive update on the state of renewable energy programs in California, focusing on the Net Value Billing Tariff (NVBT) and community solar projects. Here's a breakdown of the key points and positions from various stakeholders:
Overview of Renewable Energy Programs
- The NVBT and community solar projects are at the forefront, with discussions on their potential to expand renewable energy access.
- Criticisms target the Avoided Cost Calculator (ACC) for not fully recognizing the benefits of NVBT and potentially undermining renewable energy efforts.
Comments on Proposed Decision
- The Coalition for Community Solar Access expresses concerns about the proposed decision not aligning with Assembly Bill 2316 and the potential cost shifts to nonparticipating customers.
- Solar Landscape Origination LLC criticizes Pacific Gas and Electric Company's green tariff programs, suggesting modifications to better serve low-income households and increase the capacity of the Disadvantaged Communities Green Tariff Program (DAC-GT).
FERC Orders and Cases
Discussions include FERC orders related to electric storage and distributed energy resources, emphasizing that community solar facilities and utilities do not engage in wholesale sales.
Treatment of Credits
The treatment of credits from net metering and community solar is debated, with a focus on retail rate design under state jurisdiction.
Solar for All Program and National Community Solar Partnership
The document highlights the importance of targeting low-income households and recommends utilizing various funding sources for renewable energy projects.
Potential Modifications to the NVBT
Suggestions include implementing a net surplus compensation framework and applying it to all surplus energy at the end of the NVBT facility’s Relevant Period.
Recommendations for the NVBT Program
The NVBT program is praised for its flexibility and contribution to peak load reductions, with a call for the Commission to confirm NVBT resources as load modifiers.
Use of Funding Sources
Recommendations include utilizing state and federal funding sources like AB 102 and the Greenhouse Gas Reduction Fund for renewable energy projects.
Targeting Low-Income Households
Emphasizes the importance of automatic enrollment and flat monetary credits on bills for existing program participants.
Challenges with PURPA Prices
Discusses the challenges with PURPA prices in attracting developers to community solar projects and suggests using additional funds to incentivize participation.
Stakeholder Comments
- Valta Energy and The Clean Coalition support the NVBT for its potential to democratize access to solar energy and promote equitable distribution of economic benefits.
- Concerns are raised about the commercial viability of the Community Renewable Energy Program (CREP) and the adequacy of compensation under PURPA’s framework.
Concusion
The documents collectively underscore the potential savings and advantages of deploying NVBT for renewable energy programs in California. Stakeholders urge the Commission to modify or reject the Proposed Decision based on these findings, highlighting the need for a program that benefits all ratepayers, promotes energy efficiency, and ensures participation from low-income households.
Application of PACIFIC GAS AND ELECTRIC COMPANY (U39E) for Review of the Disadvantaged Communities – Green Tariff, Community Solar Green Tariff and Green Tariff Shared Renewables Programs.
Renewable Energy Programs Update
The recent documents related to A22-05-022 provide a comprehensive update on the state of renewable energy programs in California, focusing on the Net Value Billing Tariff (NVBT) and community solar projects. Here's a breakdown of the key points and positions from various stakeholders:
Overview of Renewable Energy Programs
- The NVBT and community solar projects are at the forefront, with discussions on their potential to expand renewable energy access.
- Criticisms target the Avoided Cost Calculator (ACC) for not fully recognizing the benefits of NVBT and potentially undermining renewable energy efforts.
Comments on Proposed Decision
- The Coalition for Community Solar Access expresses concerns about the proposed decision not aligning with Assembly Bill 2316 and the potential cost shifts to nonparticipating customers.
- Solar Landscape Origination LLC criticizes Pacific Gas and Electric Company's green tariff programs, suggesting modifications to better serve low-income households and increase the capacity of the Disadvantaged Communities Green Tariff Program (DAC-GT).
FERC Orders and Cases
Discussions include FERC orders related to electric storage and distributed energy resources, emphasizing that community solar facilities and utilities do not engage in wholesale sales.
Treatment of Credits
The treatment of credits from net metering and community solar is debated, with a focus on retail rate design under state jurisdiction.
Solar for All Program and National Community Solar Partnership
The document highlights the importance of targeting low-income households and recommends utilizing various funding sources for renewable energy projects.
Potential Modifications to the NVBT
Suggestions include implementing a net surplus compensation framework and applying it to all surplus energy at the end of the NVBT facility’s Relevant Period.
Recommendations for the NVBT Program
The NVBT program is praised for its flexibility and contribution to peak load reductions, with a call for the Commission to confirm NVBT resources as load modifiers.
Use of Funding Sources
Recommendations include utilizing state and federal funding sources like AB 102 and the Greenhouse Gas Reduction Fund for renewable energy projects.
Targeting Low-Income Households
Emphasizes the importance of automatic enrollment and flat monetary credits on bills for existing program participants.
Challenges with PURPA Prices
Discusses the challenges with PURPA prices in attracting developers to community solar projects and suggests using additional funds to incentivize participation.
Stakeholder Comments
- Valta Energy and The Clean Coalition support the NVBT for its potential to democratize access to solar energy and promote equitable distribution of economic benefits.
- Concerns are raised about the commercial viability of the Community Renewable Energy Program (CREP) and the adequacy of compensation under PURPA’s framework.
Concusion
The documents collectively underscore the potential savings and advantages of deploying NVBT for renewable energy programs in California. Stakeholders urge the Commission to modify or reject the Proposed Decision based on these findings, highlighting the need for a program that benefits all ratepayers, promotes energy efficiency, and ensures participation from low-income households.
Bill to cut California's industrial emissions, shift to zero-emission tech, and prioritize disadvantaged communities by 2045
Renewable Energy Programs Update
The recent documents related to A22-05-022 provide a comprehensive update on the state of renewable energy programs in California, focusing on the Net Value Billing Tariff (NVBT) and community solar projects. Here's a breakdown of the key points and positions from various stakeholders:
Overview of Renewable Energy Programs
- The NVBT and community solar projects are at the forefront, with discussions on their potential to expand renewable energy access.
- Criticisms target the Avoided Cost Calculator (ACC) for not fully recognizing the benefits of NVBT and potentially undermining renewable energy efforts.
Comments on Proposed Decision
- The Coalition for Community Solar Access expresses concerns about the proposed decision not aligning with Assembly Bill 2316 and the potential cost shifts to nonparticipating customers.
- Solar Landscape Origination LLC criticizes Pacific Gas and Electric Company's green tariff programs, suggesting modifications to better serve low-income households and increase the capacity of the Disadvantaged Communities Green Tariff Program (DAC-GT).
FERC Orders and Cases
Discussions include FERC orders related to electric storage and distributed energy resources, emphasizing that community solar facilities and utilities do not engage in wholesale sales.
Treatment of Credits
The treatment of credits from net metering and community solar is debated, with a focus on retail rate design under state jurisdiction.
Solar for All Program and National Community Solar Partnership
The document highlights the importance of targeting low-income households and recommends utilizing various funding sources for renewable energy projects.
Potential Modifications to the NVBT
Suggestions include implementing a net surplus compensation framework and applying it to all surplus energy at the end of the NVBT facility’s Relevant Period.
Recommendations for the NVBT Program
The NVBT program is praised for its flexibility and contribution to peak load reductions, with a call for the Commission to confirm NVBT resources as load modifiers.
Use of Funding Sources
Recommendations include utilizing state and federal funding sources like AB 102 and the Greenhouse Gas Reduction Fund for renewable energy projects.
Targeting Low-Income Households
Emphasizes the importance of automatic enrollment and flat monetary credits on bills for existing program participants.
Challenges with PURPA Prices
Discusses the challenges with PURPA prices in attracting developers to community solar projects and suggests using additional funds to incentivize participation.
Stakeholder Comments
- Valta Energy and The Clean Coalition support the NVBT for its potential to democratize access to solar energy and promote equitable distribution of economic benefits.
- Concerns are raised about the commercial viability of the Community Renewable Energy Program (CREP) and the adequacy of compensation under PURPA’s framework.
Concusion
The documents collectively underscore the potential savings and advantages of deploying NVBT for renewable energy programs in California. Stakeholders urge the Commission to modify or reject the Proposed Decision based on these findings, highlighting the need for a program that benefits all ratepayers, promotes energy efficiency, and ensures participation from low-income households.
Streamline approval process for upgrading transmission facilities by allowing advanced reconductoring projects without construction permits, reducing costs and improving efficiency
Renewable Energy Programs Update
The recent documents related to A22-05-022 provide a comprehensive update on the state of renewable energy programs in California, focusing on the Net Value Billing Tariff (NVBT) and community solar projects. Here's a breakdown of the key points and positions from various stakeholders:
Overview of Renewable Energy Programs
- The NVBT and community solar projects are at the forefront, with discussions on their potential to expand renewable energy access.
- Criticisms target the Avoided Cost Calculator (ACC) for not fully recognizing the benefits of NVBT and potentially undermining renewable energy efforts.
Comments on Proposed Decision
- The Coalition for Community Solar Access expresses concerns about the proposed decision not aligning with Assembly Bill 2316 and the potential cost shifts to nonparticipating customers.
- Solar Landscape Origination LLC criticizes Pacific Gas and Electric Company's green tariff programs, suggesting modifications to better serve low-income households and increase the capacity of the Disadvantaged Communities Green Tariff Program (DAC-GT).
FERC Orders and Cases
Discussions include FERC orders related to electric storage and distributed energy resources, emphasizing that community solar facilities and utilities do not engage in wholesale sales.
Treatment of Credits
The treatment of credits from net metering and community solar is debated, with a focus on retail rate design under state jurisdiction.
Solar for All Program and National Community Solar Partnership
The document highlights the importance of targeting low-income households and recommends utilizing various funding sources for renewable energy projects.
Potential Modifications to the NVBT
Suggestions include implementing a net surplus compensation framework and applying it to all surplus energy at the end of the NVBT facility’s Relevant Period.
Recommendations for the NVBT Program
The NVBT program is praised for its flexibility and contribution to peak load reductions, with a call for the Commission to confirm NVBT resources as load modifiers.
Use of Funding Sources
Recommendations include utilizing state and federal funding sources like AB 102 and the Greenhouse Gas Reduction Fund for renewable energy projects.
Targeting Low-Income Households
Emphasizes the importance of automatic enrollment and flat monetary credits on bills for existing program participants.
Challenges with PURPA Prices
Discusses the challenges with PURPA prices in attracting developers to community solar projects and suggests using additional funds to incentivize participation.
Stakeholder Comments
- Valta Energy and The Clean Coalition support the NVBT for its potential to democratize access to solar energy and promote equitable distribution of economic benefits.
- Concerns are raised about the commercial viability of the Community Renewable Energy Program (CREP) and the adequacy of compensation under PURPA’s framework.
Concusion
The documents collectively underscore the potential savings and advantages of deploying NVBT for renewable energy programs in California. Stakeholders urge the Commission to modify or reject the Proposed Decision based on these findings, highlighting the need for a program that benefits all ratepayers, promotes energy efficiency, and ensures participation from low-income households.
Order Instituting Rulemaking to Oversee the Resource Adequacy Program, Consider Program Reforms and Refinements, and Establish Forward Resource Adequacy Procurement Obligations.
Last Week's New Comment +1
Proposal Overview
MN8 Energy LLC has submitted a proposal to the California Public Utilities Commission (CPUC) aimed at reforming the Resource Adequacy Program's accreditation of solar and wind resources.
Current Issues
The current methodology for determining Net Qualifying Capacity (NQC) inaccurately reflects resource performance during peak reliability periods. This leads to:
- An overestimation of solar reliability in summer
- An underestimation of solar...
- reliability in winter
- Align monthly Qualifying Capacity (QC) factors with actual reliability values
- Utilize a risk-weighted-average production method based on loss of load expectation (LOLE) analyses
- Enhance the accreditation process
- Better support investment in solar and co-located resources
- Ultimately align resource performance with system reliability needs
Order Instituting Rulemaking to Update and Reform Energy Resource Recovery Account and Power Charge Indifference Adjustment Policies and Processes
Last Week's New Comment +1
Overview
Southern California Edison (SCE) and other stakeholders are responding to the California Public Utilities Commission’s (CPUC) directive to reform policies related to the Energy Resource Recovery Account (ERRA) and Power Charge Indifference Adjustment (PCIA).
Focus Areas
The primary focus is on how to value renewable energy credits (RECs) generated before January 1, 2019, and the implications for compliance with the state’s Renewables Portfolio Standard (RPS)....
This includes considerations regarding cost allocation between bundled and departed customers.
Key Issues
- Valuation of Pre-2019 RECs: There is debate over whether assigning a zero-dollar value to pre-2019 RECs aligns with statutory requirements to prevent cost shifts and maintain fairness among customer groups.
- Legal and Policy Questions: The Joint Investor-Owned Utilities (IOUs) emphasize the need for the Commission to address both legal and policy questions.
- Valuation Methodologies: Other parties, such as CalCCA and Cal Advocates, call for clearer valuation methodologies and consideration of both legal and factual matters.
- Credits for Departed Customers: Ongoing discussions revolve around whether departed customers should receive credits for RECs used by current bundled customers, and whether a second valuation of these RECs could violate statutory protections.
Stakeholder Positions
- Procedural Schedule: Stakeholders generally support the proposed procedural schedule but recommend additional case management steps and flexibility for evidentiary hearings if needed.
- IOUs' Preference: The IOUs prefer resolving issues through legal and policy briefings.
- Other Parties' Openness: Other parties are open to hearings or settlement discussions depending on the development of the record.
- Data Access Concerns: Concerns have been raised about data access and confidentiality regarding SCE’s pre-2019 REC holdings, with calls for clearer protocols.
Conclusion
Further discussions are set for the prehearing conference on January 23, 2026.
Order Instituting Rulemaking to Establish Energization Timelines.
Last Week's New Comments +5
Update on Recent Comments in CPUC Proceeding R24-01-018 (Standard Offer for Flexible Service Connections)
The California Public Utilities Commission (CPUC) continues to receive comments on its Proposed Decision (PD) to establish a Standard Offer for Flexible Service Connections (FSC) for customers facing distribution capacity constraints. The PD would require Pacific Gas and Electric Company (PG&E) and Southern California Edison (SCE) to implement a standardized FSC...
offering, with potential expansion to other utilities. This update provides a sampling of positions from utilities, technology providers, trade groups, and advocacy organizations on key topics addressed in recent filings.
Necessity and Structure of the Standard Offer FSC
- PG&E opposes the PD, arguing that a standardized FSC is unnecessary, could be costly and inflexible, and would limit utility discretion needed for safety and reliability. PG&E recommends using a Standard Form Agreement instead of a tariff and urges caution in standardizing FSC offerings.
- Emerald AI supports the Standard Offer FSC, viewing it as a way to expedite customer energization and reduce peak system stress, while advocating for a scalable, enforceable, and technology-neutral framework.
- EDF supports the development of a standard offer for FSCs, stating that current processes are limited and a standardized approach would broaden participation and provide customer certainty.
Inclusion of Utilities and Customer Types
- EDF recommends that the PD apply to all utilities, not just SCE and PG&E, to address upstream capacity constraints. If not immediately extended to SDG&E, EDF suggests requiring implementation after any capacity-driven delays.
- CALSTART recommends that the Standard Offer be applied to SDG&E upon Commission approval, citing existing capacity constraints.
- EDF emphasizes the importance of including single-phase customers in FSC participation to maximize program effectiveness and grid reliability.
Performance-Based Pathways and Technology Neutrality
- Emerald AI advocates for a performance-based pathway allowing customers to operate within defined Limited Load Profiles (LLPs), and calls for clarifications to ensure the Standard Offer remains technology-neutral with optional enhanced offerings.
Advanced Metering and Compliance Verification
- Emerald AI highlights the importance of using Advanced Metering Infrastructure (AMI) for compliance verification and suggests optional telemetry for faster confirmation and improved data collection.
Preliminary Capacity Assessments (PCAs)
- PG&E opposes the PCA process, arguing it duplicates existing efforts, could lead to inaccurate estimates, and would require significant system upgrades that cannot be completed by the proposed deadline.
- CALSTART supports PCAs, stating they are essential for informing customer investment decisions and provide timely, reliable power availability estimates. CALSTART argues that PCAs serve a distinct purpose from the Intake process and help streamline project deployment.
- EDF supports retaining the Step 0 PCA, stating it provides valuable early assessments for customers and improves interconnection efficiency.
Emergency Ratings and Power Control Systems
- IREC expresses concern that the proposed framework could restrict additional capacity for customers using non-certified power control systems (PCS) due to the high costs of UL 3141-certified devices. IREC urges the CPUC to provide a pathway for customers relying on uncertified devices and to collect more data on emergency capacity ratings’ impact on LLPs.
- EDF supports further investigation into how utilities' emergency ratings policies interact with FSCs, but urges the Commission not to delay a final decision. EDF recommends using a customer's load shape for emergency rating limitations rather than cumulative nameplate capacity.
Transparency, Data Collection, and Reporting
- Emerald AI recommends robust data collection by PG&E and SCE, including additional data fields to evaluate the Standard Offer’s effectiveness and quantify benefits over time. Emerald AI also calls for clear, plain-language information on constraints, LLP duration, revision processes, and exceedance consequences.
- IREC recommends that utilities disclose their normal and emergency rating standards and clarify how they assess load impacts during engineering evaluations to improve transparency.
- PG&E urges the elimination of duplicative data fields in reporting requirements and advocates for a separate reporting structure for PCA and Standard Offer processes, with a practical implementation plan before enforcement.
Implementation Timelines and Advice Letter Process
- PG&E recommends deferring implementation timelines until a thorough cost analysis is completed and highlights the need for technology upgrades to support expanded FSC participation.
- EDF opposes requests from SCE and PG&E to extend timelines for FSC deliverables, arguing that delays would undermine progress and that strict adherence to the PD's schedule is necessary.
- Emerald AI suggests providing clear, accessible information on the Implementation Advice Letter process and recommends standardized provisions for alternative control methods and transparent exceedance management.
Engineering Evaluations and Load Control Methods
- IREC urges the Commission to require utilities to explain how on-site photovoltaics will be considered in engineering evaluations and to enforce a strict 30-day timeline for initial load limit discussions after a complete application. IREC also recommends clarifying provisions for uncertified controls and their impact on connected load calculations.
- PG&E outlines requirements for verifying customer interest and capability before engineering studies, collecting and retaining curtailment data, and allowing customers to select preferred load control methods, with liability for exceedances assigned to customers.
Standardization and Program Refinement
- Emerald AI proposes clarifying edits to improve consistency and enforceability of the Standard Offer, including standardized LLP templates and transparent exceedance management for large load participation.
- PG&E supports refining the Standard Offer by tracking certain data fields but suggests deleting some proposed items to streamline the process.
- IREC supports the inclusion of uncertified controls in the framework and advocates for clear guidance to resolve ambiguities, streamline processes, and ensure non-discriminatory access to FSCs.
Order Instituting Rulemaking to Modernize the Electric Grid for a High Distributed Energy Resources Future.
Last Week's New Ruling +1
Deadline Extension
The California Public Utilities Commission has extended the deadline for the following utilities to submit their revised Community Engagement Plans:
- San Diego Gas & Electric
- Southern California Edison
- Pacific Gas and Electric
The new deadline is set for May 1, 2026.
Reason for Extension
This decision comes after a request from the utilities, who cited challenges in meeting the original deadline of January 26. The utilities indicated that the...
extensive information required and the holiday season contributed to their difficulties.
Opposition to Extension
The Center for Accessible Technology opposed the extension, arguing that it could hinder outreach efforts to vulnerable populations.
Commission's Emphasis
The Commission highlighted the importance of the utilities fully addressing the requirements from previous rulings to enhance their outreach effectiveness.
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