Comments to the Federal Energy Regulatory Commission

Using our knowledge regarding how federal actions on electricity policy can directly impact the well-being of tens of millions of America's citizens, the LPPC has filed the following comments with the Federal Energy Regulatory Commission:

Docket # RM06-22-000 LPPC/APPA Comments regarding FERC NOPR on Mandatory Reliability Standards for Critical Infrastructure Protection
 
Docket # RM07-19-000: Response to FERC ANOPR regarding Wholesale Competition in Regions with Organized Electric Markets
 
Docket # RM05-25-000 & RM05-17-000:  Reply Comments of the Large Public Power Council in Response to Notice of Proposed Rulemaking
 
Docket #RM01-10-000 & 001:  Motion for Clarification or, In The Alternative, Request for Rehearing
 
Docket #RM01-12-000:  Remedying Undue Discrimination Through Open Access Transmission Service and Standard Electricity Market Design
 
Docket #RM02-1-000: Request for Clarification and Rehearing of the Large Public Power Council
 
Docket #RM01-12: Reply Comments of LPPC replying to the initial comments filed by the Edison Electric Institute at RM01-12
 
Docket #RM01-12: Initial Comments of LPPC in response to Standard Market Design Notice of Proposed Rulemaking
 
Docket #RM02-1: Initial Comments of LPPC in response to Standardization of Generator Interconnection Agreements and Procedure Notice of Proposed Rulemaking
 
Docket #RM01-10: Comments of LPPC in response to "Staff Analysis of Major Issues Raised in Comments [to Standards of Conduct for Transmission Providers Notice of Proposed Rulemaking]"
 
Docket #RM01-12: Comments of LPPC in response to FERC Options Paper "Options for Resolving Rate and Transition Issues in Standardized Transmission Service and Wholesale Electric Market Design"
 
Docket #RM01-12: Comments of LPPC in response to FERC Working Paper on Standard Market Design
 
Docket #RM01-12 et seq: Comments of LPPC on "Economic Assessment of RTO Policy" prepared by ICF Consulting for the Federal Energy Regulatory Commission
 
Docket #RM01-12: Comments of LPPC describing six primary areas of concern with regard to RTO development
 

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