ACORE submitted comments in response to proposed regulations for the Clean Hydrogen Production Credit under section 45V of the Internal Revenue Code.
ACORE submitted a statement of support for the DOE to designate as a NIETC the geographic areas encompassing ISO-NE, NYISO, PJM, and the Carolinas.
The Treasury Department’s continued issuance of timely guidance on the Section 48 ITC is fundamental to maximizing the IRA’s success.
ACORE submitted comments on the DOE’s proposed amendments to its NEPA implementing procedures.
What should the Commission’s top reliability priorities be for the next one to three years? Learn more in ACORE’s comments to FERC.
ACORE’s comments on the proposed Regulatory Capital Rule: Large Banking Organizations and Banking Organizations With Significant Trading Activity.
Renewable Energy Certificates (RECs) are market accounting mechanisms used to substantiate claims of renewable electricity use.
ACORE submitted comments in response to proposed regulations concerning the IRA’s prevailing wage and registered apprenticeship requirements.
While we support the proposed rule and the creation of the Coordinated Interagency Transmission Authorizations and Permits (CITAP) Program, ACORE offers the following comments to improve its implementation.
These comments focus on the need for an extensive buildout of renewable energy, storage and associated transmission infrastructure.