Joint Comments on PJM’s Resilience Docket Response Comments & TestimonyBy Erin SnyderMay 9, 2018Joint Comments on PJM’s Resilience Docket Response
Joint Comments on PJM’s Fast Start Rule Comments & TestimonyBy Erin SnyderMay 8, 2018Joint Comments on PJM’s Fast Start Rule
Clean Energy Associations’ Comments on PJM’s Market Repricing Proposal Comments & TestimonyBy Erin SnyderMay 7, 2018Clean Energy Associations’ Comments on PJM’s Market Repricing Proposal
Tale of Two Projects: Ohio’s Wind Setback Law is Blocking Economic Opportunity for Rural Communities ReportsBy Erin SnyderApril 11, 2018Produced by Wind Solar Alliance April 11, 2018 Tale of Two Projects: Ohio’s Wind Setback Law is Blocking Economic Opportunity for Rural Communities
Energy Industry Associations Letter to DOE on First Energy Solutions’ Request for Emergency Order LettersBy Erin SnyderApril 2, 2018Energy Industry Associations Letter to DOE on First Energy Solutions’ Request for Emergency Order
Joint Statement on Power Market Principles LettersBy Erin SnyderMarch 6, 2018Joint Statement on Power Market Principles
FERC’s Decision on the DOE’s Proposed Grid Resilience Rule ReportsBy Erin SnyderJanuary 22, 2018Issue Brief: FERC’s Decision on the DOE’s Proposed Grid Resilience Rule
ACORE Comments on the DOE NOPR Comments & TestimonyBy trueproductionsNovember 7, 2017ACORE Comments on the DOE NOPR
Energy Industry Associations Comments on the DOE NOPR Comments & TestimonyBy trueproductionsNovember 7, 2017Energy-Industry-Associations-Reply-Comments-Opposing-the-DOE-Proposal
Advanced, Renewable and Storage Energy Industry Associations Comments on the DOE NOPR Comments & TestimonyBy trueproductionsNovember 7, 2017Advanced, Renewable and Storage Energy Industry Associations Comments on the DOE NOPR