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Title |
Description |
CT-NEM Cmts in Review of Variable Rates |
NEM Comments on Review of Variable Rates Under P.A. 15-90 |
NY-NEM Reply Cmts on ESCO Eligibility Criteria |
NEM Reply Comments on ESCO Eligibility Criteria |
NY-NEM REV Track 2 White Paper Comments |
NEM Comments on REV Track 2 White Paper |
NY-NEM Cmts on UBP for DERS |
NEM Comments on Uniform Business Practices for DER Suppliers |
IL-NEM Jt Ltr on Staff Draft Report on Retail Elec NOI |
NEM Joint Letter on Staff Report in Retail Electric Issues NOI |
CT-NEM Cmts on Variable Rates |
NEM Comments in PURA Review of Variable Rates |
MA-NEM Cmts on Gas Capacity Issues |
NEM Comments on Gas Capacity Issues |
MA-NEM Cmts on DTD Mktg and Assignment |
NEM Comments on Door to Door Marketing and Assignment |
IL-NEM Jt Cmts on Retail Elec NOI, 4th set |
NEM Joint Fourth Set Comments on Retail Electric NOI |
NY-NEM Cmts on CCA |
NEM Comments on Community Choice Aggregation |
MD-NEM Cmts in RM54 |
NEM Comments in RM54 |
MA-NEM Cmts on Bill Recalculation |
NEM Comments on Bill Recalculation |
IL-NEM Jt Cmts on Retail Elec NOI, 3rd Set |
NEM Joint Third Set Comments on Retail Electric NOI |
IL-NEM Jt Reply Comments in Retail Electric NOI |
NEM Joint Reply Comments in Retail Electric NOI |
IL-NEM Jt Initial Cmts in Retail Electric NOI |
NEM Joint Initial Comments in Retail Electric NOI |
NY-NEM Cmts on Accelerated Switching |
NEM Comments on Accelerated Switching |
NY-NEM Cmts on REV Staff Track 1 Straw Proposal |
NEM Comments on REV Track 1 Staff Straw Proposal |
NJ-NEM Comments on Revisions to TPS Rules |
NEM comments on Revisions to Third Party Supplier Rules |
NY-NEM Comments on Reforming the Energy Vision |
NEM Comments on Reforming the Energy Vision Proceeding |
NY-NEM Cmts on Winter Energy Pricing and Supply |
NEM Comments on Winter Energy Pricing and Supply |
NY-NEM Cmts on Retail Access Phase 2 Questions |
NEM Comments on Retail Access Phase 2 Questions |
NY-NEM PFR on Retail Market Order |
NEM Petition for Rehearing on Retail Market Order |
FERC-NEM Cmts on NYISO Req for Waiver During Polar Vortex |
NEM Comments on NYISO Request for Waiver During Polar Vortex |
NJ-NEM Ltr on BGSS Bill Credit |
NEM Letter on BGSs Bill Credit |
NY-NEM Reply Cmts on Retail Market Review |
NEM Reply Comments on Retail Market Review |
NY-NEM Initial Cmts in Retail Market Review |
NEM Initial Comments in Retail Market Review |
NY-NEM Cmts on NYSEG Request for Retail Market Investigation |
NEM Comments on NYSEG's Request for Retail Market Investigation |
NEM Submits Comments on Staff's Stranded Cost Strawman #2 |
NEM submitted comments on Staff's Second Stranded Cost Strawman. NEM submitted that it was concerned that the proposed fluctuating charge based on monthly switch rates will force consumers and retailers to continue to face even greater risks and uncertain |
NEM Submits Comments on Second Stranded Cost Strawman |
NEM submitted that Staff's proposed fluctuating charge based on monthly switch rates will force consumers and retailers to continue to face even greater risks and uncertainties than the current process affords. NEM recommends that net stranded costs be co |
NEM Submits Comments on Renewable Portfolio Standard |
NEM submitted comments on NYPSC's Proposed Renewable Portfolio Standard (RPS). NEM stated that imposing a RPS on ESCOs at this stage in the development of New York's retail market will increase the cost of serving New York consumers and decrease the amoun |
NEM Comments on Stranded Costs |
NEM submitted comments pursuant to the inquiry on computation of "just and reasonable net stranded costs." NEM argued that any determination of costs that are stranded must necessarily address the issue of whether the "unavoidable" |
NEM Comments on Gas Cost Recovery Mechanism |
In the context of the applications of Columbia Gas, DEO, and CG&E to adjust their Gas Cost Recovery (GCR) for the month of April, NEM has filed comments supporting the request of members Shell Energy Services and Energy America for an investigation into t |
NEM Comments on Implementation of HEFPA Legislation |
NEM has submitted comments on implementation of the HEFPA law. NEM argued that the utilities in the unbundling proceeding must be required to fully unbundle their rates to reflect the embedded costs of providing the competitive function of consumer protec |
NYPSC Issues Notice Soliciting Comments on Proposed Modifica |
The NYPSC issued proposed revisions to the Uniform Business Practice rules to "strengthen requirements for discontinuance of an ESCOs participation in retail access programs and reduce security requirements for ESCOs, clarify procedures for changing serv |
NYPSC Requests Comments on HEFPA Rule Implementation & on P |
NYPSC Requests Comments on HEFPA Rule Implementation & NEM submitted comments on Staff's proposal regarding competitive metering for C&I customers to be implemented by January 1, 2004. |
NEM Submits Comments on AGS Licensing Proposal & on ConEd El |
NEM submitted comments on Staff's proposed licensing procedures for alternative gas suppliers (AGSs). ConEd proposed to reduce the backout credits for Phase 6 of its electric choice program to $0.00025/kWh for residential customers and $0.00018/kWh for al |
Parties File Comments on Components of Default Service |
NEM and other interested parties filed comments on the proper components of default service. Constellation NewEnergy, Strategic Energy, Appalachian Power and Allegheny Power are among the parties that agree with NEM that the price set for default service |
NEM Summary of January SMD Comments |
On July 31, 2002, FERC issued a Notice of Proposed Rulemaking (NOPR) on Remedying Undue Discrimination through Open Access Transmission Service and Standard Electric Market Design. Parties submitted Initial Comments on November 15, 2002 and a second round |
NEM reports Joint Comments from WA and NC |
NEM filed Comments on the SMD NOPR that addressed the jurisdiction issues raised by the Joint Commenters. Specifically, NEM argued that the Commission made the requisite findings required by the Supreme Court for FERC to issue these proposed rules. The Co |
NEM FIles FCC Comments |
Do Not Call List, NEM urges monitoring and enforcement with State PUCs. Nov. 21, 2002 |
NEM Letter Sent to Premier Eves |
NEM Letter to Ontario Premier Eves on Proposed Electric Price Freeze. |
NEM Files FERC Comments |
Submits comments on FERC's Standard Market Design Rulemaking. |
NEM Files IL Comments |
Comments for Illinois Commission's Report on Illinois Maket. |
NEM Submits NYSEG Trial Brief |
Unbundling Proceeding |
NEM Submits Comments in GA |
Submits comments on Market Forces Rulemaking. |
NEM Submits Trial Brief in NY |
Unbundling Proceeding, Oct. 29, 2002 |
NEM Submits FTC Comments |
NEM Submits Comments to FTC on Internet Competition in the Competitive Energy Industry |
NEM Files Comments in VA |
Comments on the competitive provision of default services 8/8/2002 |
NEM Files MA Comments |
In the Distributed Generation Proceeding, July 26, 2002 |
NEM Files MA Comments |
In the Default Service Proceeding, July 26, 2002 |
NEM Submits NV Comments |
On Assembly Bill 661 |
NEM Submits Comments in VA |
On Wires Charge Calculation Methodology |
NEM Submits Comments in Ohio |
In Opposition to DEO and Columbia Gas Proposed Modifications to GCR Rate Calculations |
NEM Files NY Comments |
NEM Supports Gas Metering on a competitive basis |
NEM Comments on Proposed Do-Not-Call Registry |
Telemarketer Rulemaking - User Fees |
NEM Submits FERC Comments |
on Standardized Generation Interconnection. |
NEM Submits FERC Supplemental Comments |
Standards of Conduct for Transmission Providers |
NEM Files MI Testimony of Philip O'Connor |
Application of Detroit Edison to unbundle its retail rates - MPSC Case No. U-13286 |
NEM Submits ILLINOIS Comments |
NEM and Members Submit Comments in support of Telephonic and Internet Enrollment |
NEM Files MI Comments |
Comments on DTE Energy's 2002 Customer Service Improvement Plan, and Staff's Report |
NEM Submits VA Comments |
On Questions Related to the Facilitation of Effective Retail Competition in the State. |
NEM Comments on EIA Form 910 |
NEM files comments on proposed extension of EIA Form 910 |
NEM Files FTC Comments |
On Telemarketing Sales Rules - NOPR. |
NEM Files NY Comments |
On ConEd's Phase 5 Filing, ConEd's proposed Reduction of the Retail Access Credit should be rejected. |
NEM Files FERC Comments |
On the Working Paper on Standardized Transmission Service and Wholesale Electric Market Design. |
NEM NY Comments on Procedural Schedule |
NEM recommends that the Procedural Schedule be amended to provide specific timelines for review and comment on the June 15 filings |
NEM FERC Comments |
NEM says an integrated one-stop shop for commercial and reliability standards. |
NEM FERC Comments RM02-3 |
NEM urges that the NOPR be rescinded on Derivatives Accounting and Reporting |
NEM Files IL Brief on Exceptions |
Commonwealth Edison Company |
NEM Files NY Reply Comments |
On Issues 2-3-4 in Unbundling Proceeding |
NEM Files NJ Comments on BGS |
Basic Generation Service - Post Transition Procedures |
NEM Submits NY Initial Comments |
On Issues 2-3-4 in Unbundling Proceeding |
NEM Comments on Standard Market Design NOPR |
NEM submitted comments on the Commission's Standard Market Design rulemaking urging the Commission to insist on adherence to the principles originally set forth in the NOPR and Order 2000 that would ensure large, highly standardized RTOs/ITPs. NEM also no |
NEM MA Comments in Competitive Market Proceeding |
Initial Comments of Competitive Suppliers Regarding Phase II and Internet-Based Customer Authorizations |
NEM NY Comments on Customer Payment Allocations |
NEM submits that payments should be applied first to the consumables portion of the bill then non-consumables |
NEM Files NY Comments on TSLRIC |
Total Service Long Run Incremental Costs. November 15, 2001 |
NEM MD Comments on Retail Gas Sales Service |
NEM submits comments on the discontinuance of retail gas sales by IOUs in MD - Nov. 6, 2001 |
NEM Files MI Comments on Mid-Sized Gas LDC Choice Programs |
NEM has a number of concerns with the proposed implementation of mid-sized LDC gas choice programs |
NEM Files Comments on Proposed EIA Forms |
Comments on Proposed Electric Forms: EIA-411, EIA-412, EIA-423, EIA-826, EIA-860, EIA-861, and EIA-906 |
NEM MD Comments on Retail Gas Marketing |
Comments focus specifically on initiatives necessary to promote gas choice in Maryland. |
NEM NY Supplemental Comments on Revised Straw Proposal |
Guidelines for the Design of Standby Service Rates - modifications have the potential for Dist. Generation to become a more economic investment in NY. |
NEM MI Comments on Mid-Sized LDC Gas Choice Programs |
NEM Files additional comments on issues framed by Staff in its August 2, 2001, Meeting Summary |
NEM Files VA Comments |
The Commission should immediately unbundle the fully embedded monopoly costs associated with metering and related IT functions. |
NEM NY Comments in Unbundling Proceeding |
Reply Comments express concern with Staff's proposal to group Distribution and Transmission. |
NEM MA Comments of Competitive Market Initiatives |
Initial Comments of Competitive Suppliers Regarding Access To Customer Information |
OH Reply Comments of Ohio Gas Marketers |
Reply comments briefly respond to the issues, positions or suggestions raised in some of the fifteen sets of Initial Comments filed in this proceeding. |
NY - NEM Comments on Issues 1 and 5 |
Initial Comments on Issues 1 and 5 in the Unbundling Proceeding. July 30, 2001 |
NEM Comments - EIA Form 911 |
NEM urges the proposed survey should not be imposed - July 26, 2001 |
NEM MI Comments on Mid-Sized LDC Gas Choice Programs |
Comments on the issues raised by Staff on submissions by MGU and SEMCO for Mid-sized LDC Gas Choice Programs |
NEM OH Comments On Proposed Gas Supplier Rules |
Comments in Response to the June 19, 2001 Entry |
NEM New Jersey Comments |
Comments on Basic Gas Supply Service |
NEM FERC Comments on Electronic Tariff Filings |
NEM Supports the Commission's proposal for standardization of tariff formats and the use of XML format. |
NEM FERC Seams Presentation |
NEM Presentation to FERC - Conference on RTO Interregional Coordination June 19, 2001 |
MA Comments of NEM and Competitive Suppliers |
Recommendations Include allowing electronic signatures for enrollment and authorize release of usage data. |
NEM - NY Reply Comments on Standby Rate Design Principles |
NEM strongly disagrees with the Utilities' Comments and asserts that they be rejected. |
NEM Radio Spectrum Comments to the NTIA |
National Telecommunication and Information Administration for -Consumers Must be able to respond to price signals. |
NEM MD Comments on Competitive Metering |
The Commission should immediately unbundle costs associated with metering |
NEM Comments on Electric EIA Reporting Requirements |
NEM Opposes new EIA Reporting Requirements to be Imposed on Electricity Marketers May 11, 2001 |
NEM NY Comments - Unbundling Proceeding |
Case 00-M-0504 - NEM Submits comments on Unbundling Proceeding |
NEM - NYSEG Comments on Trade Secrets |
NEM Strongly Supports Judge Stockholm's Ruling and that NYSEG's appeal should be denied. |
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