Northwest Public Power Interests for Markets
Carbon Management
Distributed Generation
Resource Adequacy Enhancements
Flexible Resource Adequacy Criteria and Must Offer Obligation Ph. 2
Regional Resource Adequacy
Day-Ahead Market Enhancements
Market Design Consideration Discussion Document
Northwest Public Power Interests for Markets
CAISO Extended Day-Ahead Market Feasibility Assessment Webinar
Extended Day-Ahead Market
EIM Governance Review
EIM Governing Body Guidance Document and Regional Issues
CAISO Governance Principles
System Market Power Analysis
Local Market Power Mitigation
Real-Time Market Neutrality Settlement
Intertie Deviations Settlement
EIM Greenhouse Gas Compliance Enhancements
Imbalance Conformance Enhancements
2020 Policy Initiatives Catalog
PGP Comments on CAISO’s 2019 Draft Policy Initiatives Catalog
PGP Comments to CAISO on 2018 Final Policy Initiatives Catalog and Draft Roadmap
2017 PGP Comments to CAISO on Annual Policy Initiatives Catalog
PGP Regional Issues Forum Presentation on EIM External Resource Participation
Consolidated EIM Initiatives
EIM Year 1 Enhancements
Special Study: Increasing Pacific Northwest to California Transfers
Frequency Response Phase 2
PGP Comments to CAISO on Vision Discussion Paper
PGP Comments to the CPUC on Import Resource Adequacy Rules
PGP Comments on CPUC IRP Procurement Track regarding imports
PGP Comments on BPA’s Letter to the Region
PGP Comments to BPA on the Coordinated Transmission Agreement
PGP Comments to BPA on Transmission Access for EIM Participation
PSE’s Integration into the CAISO EIM
Southern Intertie Hourly Non-Firm
PGP Letter to BPA on Short-term Competition
PGP Comments to Chair Reuven Carlyle on SB 6135 CETA System Reliability
PGP Comments to Rep. Gael Tarleton on Clean Energy Standard Draft Legislative Proposal
Joint BPA-PGP Letter to CA Assembly Utilities Regarding Role of NW Hydro Power in SB 100
California
First
PGP Comments to CAISO on SB 350 studies
PGP Request to Cantwell for co-sponsorship
PGP Request to Murray for co-sponsorship
Consumer-Owned Utility Org Letter on BPA Hiring
PGP Comments on U.S. Entity Draft Recommendation
PGP Comments on draft Clean Air Rule
PGP Comments to CA Air Resources Board
PGP Comments on Carbon and Electricity Markets Workgroup Nominating Participants
PGP Comments on Commerce Discussion Draft on Social Cost of Carbon
PGP Comments to NWPCC on Draft 7th Power Plan
PGP comments to Chair Joe Fitzgibbons on SB 6135 CETA System Reliability
PGP Comments on CAISO’s Draft Final System Market Power Proposal
PGP Comments on CAISO’s Day-Ahead Market Enhancements Revised Straw Proposal
8/28/2020: PGP Comments on Governance Review Committee Straw Proposal
10/5: PGP Comments on Revised Draft Fianl Proposal for System Mark Power Mitigation