Below are comments and filings AWEA submits to federal agencies and regulatory bodies.

Results: 25 - 36 of 42
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Request for Rehearing in MISO’s Compliance Filing Updating Its Pro Forma Agreements

Pursuant to Section 313 of the Federal Power Act (“FPA”)1 and Rule 713 of the Rules of Practice and Procedure of the Federal Energy Regulatory Commission, AWEA respectfully submits this request for rehearing of the order issued by the Commission on December 20, 2019.

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Hybrid Resources Initiative: Revised Straw Proposal Comments

AWEA submission of stakeholder comments on the Hybrid Resources Initiative, Revised Straw Proposal.

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Comments of Clean Energy Entities Regarding PJM’s Reliability Assurance Agreement

Pursuant to Rules 212 and 214 of the Rules of Practice and Procedure of the Federal Energy Regulatory Commission, AWEA, the Solar Energy Industries Association, and the Solar Council, hereby move to intervene and respectfully submit these comments related to PJM Interconnection, L.L.C.’s December 12, 2019 Compliance Filing regarding minimum run duration requirements.

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AWEA Reply Comments on the Proposed Reference System Plan for IRPs

AWEA-California respectfully offers these reply comments on Administrative Law Judge Julie A. Fitch’s November 6, 2019 Ruling Seeking Comment on Proposed Reference System Portfolio and Related Policy Actions.

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AWEA MISO Order 845 Compliance Filing Comments

AWEA, Clean Grid Alliance, and the Solar Council move to intervene and submit comments responding to the Midcontinent Independent System Operator compliance filing regarding Orders No. 845 and 845-A.

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AWEA ISO New England Order 845 Compliance Filing Comments

AWEA, RENEW Northeast, Inc., and the Solar Council move to intervene and submit comments responding to ISO New England’s compliance filing regarding Orders No. 845 and 845-A.

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AWEA & RENEW Comments on MARIPARS

AWEA and RENEW Northeast, Inc. submit comments on the U.S. Coast Guard’s evaluation of the need to establish vessel routing measures via the Massachusetts and Rhode Island Port Access Route Study (MARIPARS).

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AWEA Answer to PJM Response Regarding Order No. 841 Compliance FIling

American Wind Energy Association (“AWEA”) and the Solar Council (“Council”), submit this Motion for Leave to Answer and Answer in response to the May 1, 2019, response of PJM Interconnection, L.L.C. to the Commission’s April 1, 2019 request for additional information, as well as the March 5, 2019, answer of PJM in Docket No. ER19-469-000.

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AWEA Comments to PJM Regarding Operating Reserve Demand Curve

AWEA, the Solar Energy Industries Association, and the Solar Council submit these comments in support of PJM Interconnection, L.L.C.’s March 29, 2019 filing submitted in Docket Nos. ER19-1486-000 and EL19-58-000 related to enhancing price formation in its reserve markets.

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AWEA Letter of Support for Pennsylvania Petition to Adopt the Regulation Establishing a Comprehensive Program to Limit Greenhouse Gas Emissions Through an Auction-Cap-and-Trade Program

AWEA letter to the Secretary for the Pennsylvania Department of Environmental Protection encouraging the Pennsylvania Environmental Quality Board  to accept the Clean Air Council’s petition and have the Department of Environmental Protection evaluate the proposed economy-wide auction-cap-and-trade program set forth therein.

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AWEA & CGA Comments MISO Cost Allocation Proposals

AWEA and Clean Grid Alliance submit these comments and limited protest in response to the Midcontinent Independent System Operator, Inc.’s February 25 and 28, 2019 filings, under Section 205 of the Federal Power Act, to change the cost allocation methodologies for regional Market Efficiency Projects and Interregional Economic Projects.

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AWEA EPA Comments on 111(b) Rule

AWEA submits these comments in response to the United States’ Environmental Protection Agency’s December 20, 2018 proposed rule entitled “Review of Standards of Performance for Greenhouse Gas Emissions From New, Modified, and Reconstructed Stationary Sources: Electric Utility Generating Units.”