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With the end of the portfolio compliance period (CP) 4 (2021-2024), the California Energy Commission (CP) Energy Commission (CP) staff (2021-2024). Ninth edition (revised) (RPS Guide)) and changes in regulations specifying application procedures for the renewal portfolio standard (RPS POUR regulations).
Loading service entities do not need to wait until July 1 to report if they are able to report earlier. The staff move to an approach at first arrival first served, so the sooner the information will be reported, the staff earlier should access it.
Annual report requirement
Annual declaration requirements are due on the first day of July. Please ensure that all the following documents, if necessary for WRIS. Online RPS system. Without these documents, the verification and compliance team is unable to complete the analysis and reports for CP 4. To obtain advice and instructions on the required documents, please refer to the RPS – Verification and compliance page.
Year | Report |
---|---|
2021 – 2025 | Annual summary report |
2021 – 2025 | W Record report |
2021 -2024 | Newly executed and modified louse contracts |
2021 – 2025 | Report wcri Ca e-tag (Pous with non-CBA PCC 1 or 2 complaints) |
2021 – 2025 | E-TAG report of CEC SCHEDULE 3 (PUP with complaints not CBA PCC 1 or 2 not followed in W RĂ©ci) |
2021 – 2025 | 4 -hour CEC report (PUP with non -CBA PCC 1 complaints) |
Long -term contract requirement
In accordance with article 399.13 (b), CP 4 and subsequent CPS of the code (B), CP 4 and CPS, includes a long -term supply requirement requiring that 65% of RPS purchases of an LSE come from long -term supply. Long -term purchases refer to supply from long -term contracts, ownership or property, as specified in article 3204 (d) of the RPS POUR regulations and discussed further in the RPS PA 2022-09-21 regulatory consulting RPS.
Optional compliance measures
Each fou must ensure that its optional compliance measures (OCM), listed in the table below, are up to date and have been adopted at a remarkable public meeting of the Boute Boute before the end of CP 4, in accordance with RPS PA REGULATIONS 3205 and 3206. The rules of the OCM adopted under the RPS Pou regulations The paragraph 3206 must be in place and described in a supply program in resource resources in the POU renewable energy or an application program for a given compliance period if the POU intends to rely on these rules to meet or delay its supply requirements in RPS.
Option of optional compliance | Relevant code section |
---|---|
Time delay in a timely manner | RPS PA Sections 3205 (A) – (B), 3206 (A) (2), 3206 (b) – (E) |
Cost limitation | RPS PA Sections 3205 (A) – (B), 3206 (a) (3), 3206 (b) – (e) |
Reduction of portfolio balance | RPS PA Sections 3205 (A) – (B), 3206 (A) (4), 3206 (B) – (D), 3206 (f) |
If you have any questions for CEC staff concerning this ad, please send an email rpstrack@energy.ca.gov.
