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Weekly Digest
Application of PACIFIC GAS AND ELECTRIC COMPANY (U39E) for Review of the Disadvantaged Communities – Green Tariff, Community Solar Green Tariff and Green Tariff Shared Renewables Programs.
Renewable Energy Programs Update
The recent documents related to A22-05-022 provide a comprehensive update on the state of renewable energy programs in California, focusing on the Net Value Billing Tariff (NVBT) and community solar projects. Here's a breakdown of the key points and positions from various stakeholders:
Overview of Renewable Energy Programs
- The NVBT and community solar projects are at the forefront, with discussions on their potential to expand renewable energy access.
- Criticisms target the Avoided Cost Calculator (ACC) for not fully recognizing the benefits of NVBT and potentially undermining renewable energy efforts.
Comments on Proposed Decision
- The Coalition for Community Solar Access expresses concerns about the proposed decision not aligning with Assembly Bill 2316 and the potential cost shifts to nonparticipating customers.
- Solar Landscape Origination LLC criticizes Pacific Gas and Electric Company's green tariff programs, suggesting modifications to better serve low-income households and increase the capacity of the Disadvantaged Communities Green Tariff Program (DAC-GT).
FERC Orders and Cases
Discussions include FERC orders related to electric storage and distributed energy resources, emphasizing that community solar facilities and utilities do not engage in wholesale sales.
Treatment of Credits
The treatment of credits from net metering and community solar is debated, with a focus on retail rate design under state jurisdiction.
Solar for All Program and National Community Solar Partnership
The document highlights the importance of targeting low-income households and recommends utilizing various funding sources for renewable energy projects.
Potential Modifications to the NVBT
Suggestions include implementing a net surplus compensation framework and applying it to all surplus energy at the end of the NVBT facility’s Relevant Period.
Recommendations for the NVBT Program
The NVBT program is praised for its flexibility and contribution to peak load reductions, with a call for the Commission to confirm NVBT resources as load modifiers.
Use of Funding Sources
Recommendations include utilizing state and federal funding sources like AB 102 and the Greenhouse Gas Reduction Fund for renewable energy projects.
Targeting Low-Income Households
Emphasizes the importance of automatic enrollment and flat monetary credits on bills for existing program participants.
Challenges with PURPA Prices
Discusses the challenges with PURPA prices in attracting developers to community solar projects and suggests using additional funds to incentivize participation.
Stakeholder Comments
- Valta Energy and The Clean Coalition support the NVBT for its potential to democratize access to solar energy and promote equitable distribution of economic benefits.
- Concerns are raised about the commercial viability of the Community Renewable Energy Program (CREP) and the adequacy of compensation under PURPA’s framework.
Concusion
The documents collectively underscore the potential savings and advantages of deploying NVBT for renewable energy programs in California. Stakeholders urge the Commission to modify or reject the Proposed Decision based on these findings, highlighting the need for a program that benefits all ratepayers, promotes energy efficiency, and ensures participation from low-income households.
Bill to cut California's industrial emissions, shift to zero-emission tech, and prioritize disadvantaged communities by 2045
Renewable Energy Programs Update
The recent documents related to A22-05-022 provide a comprehensive update on the state of renewable energy programs in California, focusing on the Net Value Billing Tariff (NVBT) and community solar projects. Here's a breakdown of the key points and positions from various stakeholders:
Overview of Renewable Energy Programs
- The NVBT and community solar projects are at the forefront, with discussions on their potential to expand renewable energy access.
- Criticisms target the Avoided Cost Calculator (ACC) for not fully recognizing the benefits of NVBT and potentially undermining renewable energy efforts.
Comments on Proposed Decision
- The Coalition for Community Solar Access expresses concerns about the proposed decision not aligning with Assembly Bill 2316 and the potential cost shifts to nonparticipating customers.
- Solar Landscape Origination LLC criticizes Pacific Gas and Electric Company's green tariff programs, suggesting modifications to better serve low-income households and increase the capacity of the Disadvantaged Communities Green Tariff Program (DAC-GT).
FERC Orders and Cases
Discussions include FERC orders related to electric storage and distributed energy resources, emphasizing that community solar facilities and utilities do not engage in wholesale sales.
Treatment of Credits
The treatment of credits from net metering and community solar is debated, with a focus on retail rate design under state jurisdiction.
Solar for All Program and National Community Solar Partnership
The document highlights the importance of targeting low-income households and recommends utilizing various funding sources for renewable energy projects.
Potential Modifications to the NVBT
Suggestions include implementing a net surplus compensation framework and applying it to all surplus energy at the end of the NVBT facility’s Relevant Period.
Recommendations for the NVBT Program
The NVBT program is praised for its flexibility and contribution to peak load reductions, with a call for the Commission to confirm NVBT resources as load modifiers.
Use of Funding Sources
Recommendations include utilizing state and federal funding sources like AB 102 and the Greenhouse Gas Reduction Fund for renewable energy projects.
Targeting Low-Income Households
Emphasizes the importance of automatic enrollment and flat monetary credits on bills for existing program participants.
Challenges with PURPA Prices
Discusses the challenges with PURPA prices in attracting developers to community solar projects and suggests using additional funds to incentivize participation.
Stakeholder Comments
- Valta Energy and The Clean Coalition support the NVBT for its potential to democratize access to solar energy and promote equitable distribution of economic benefits.
- Concerns are raised about the commercial viability of the Community Renewable Energy Program (CREP) and the adequacy of compensation under PURPA’s framework.
Concusion
The documents collectively underscore the potential savings and advantages of deploying NVBT for renewable energy programs in California. Stakeholders urge the Commission to modify or reject the Proposed Decision based on these findings, highlighting the need for a program that benefits all ratepayers, promotes energy efficiency, and ensures participation from low-income households.
Streamline approval process for upgrading transmission facilities by allowing advanced reconductoring projects without construction permits, reducing costs and improving efficiency
Renewable Energy Programs Update
The recent documents related to A22-05-022 provide a comprehensive update on the state of renewable energy programs in California, focusing on the Net Value Billing Tariff (NVBT) and community solar projects. Here's a breakdown of the key points and positions from various stakeholders:
Overview of Renewable Energy Programs
- The NVBT and community solar projects are at the forefront, with discussions on their potential to expand renewable energy access.
- Criticisms target the Avoided Cost Calculator (ACC) for not fully recognizing the benefits of NVBT and potentially undermining renewable energy efforts.
Comments on Proposed Decision
- The Coalition for Community Solar Access expresses concerns about the proposed decision not aligning with Assembly Bill 2316 and the potential cost shifts to nonparticipating customers.
- Solar Landscape Origination LLC criticizes Pacific Gas and Electric Company's green tariff programs, suggesting modifications to better serve low-income households and increase the capacity of the Disadvantaged Communities Green Tariff Program (DAC-GT).
FERC Orders and Cases
Discussions include FERC orders related to electric storage and distributed energy resources, emphasizing that community solar facilities and utilities do not engage in wholesale sales.
Treatment of Credits
The treatment of credits from net metering and community solar is debated, with a focus on retail rate design under state jurisdiction.
Solar for All Program and National Community Solar Partnership
The document highlights the importance of targeting low-income households and recommends utilizing various funding sources for renewable energy projects.
Potential Modifications to the NVBT
Suggestions include implementing a net surplus compensation framework and applying it to all surplus energy at the end of the NVBT facility’s Relevant Period.
Recommendations for the NVBT Program
The NVBT program is praised for its flexibility and contribution to peak load reductions, with a call for the Commission to confirm NVBT resources as load modifiers.
Use of Funding Sources
Recommendations include utilizing state and federal funding sources like AB 102 and the Greenhouse Gas Reduction Fund for renewable energy projects.
Targeting Low-Income Households
Emphasizes the importance of automatic enrollment and flat monetary credits on bills for existing program participants.
Challenges with PURPA Prices
Discusses the challenges with PURPA prices in attracting developers to community solar projects and suggests using additional funds to incentivize participation.
Stakeholder Comments
- Valta Energy and The Clean Coalition support the NVBT for its potential to democratize access to solar energy and promote equitable distribution of economic benefits.
- Concerns are raised about the commercial viability of the Community Renewable Energy Program (CREP) and the adequacy of compensation under PURPA’s framework.
Concusion
The documents collectively underscore the potential savings and advantages of deploying NVBT for renewable energy programs in California. Stakeholders urge the Commission to modify or reject the Proposed Decision based on these findings, highlighting the need for a program that benefits all ratepayers, promotes energy efficiency, and ensures participation from low-income households.
Application of PACIFIC GAS AND ELECTRIC COMPANY (U39E) for Review of the Disadvantaged Communities – Green Tariff, Community Solar Green Tariff and Green Tariff Shared Renewables Programs.
Renewable Energy Programs Update
The recent documents related to A22-05-022 provide a comprehensive update on the state of renewable energy programs in California, focusing on the Net Value Billing Tariff (NVBT) and community solar projects. Here's a breakdown of the key points and positions from various stakeholders:
Overview of Renewable Energy Programs
- The NVBT and community solar projects are at the forefront, with discussions on their potential to expand renewable energy access.
- Criticisms target the Avoided Cost Calculator (ACC) for not fully recognizing the benefits of NVBT and potentially undermining renewable energy efforts.
Comments on Proposed Decision
- The Coalition for Community Solar Access expresses concerns about the proposed decision not aligning with Assembly Bill 2316 and the potential cost shifts to nonparticipating customers.
- Solar Landscape Origination LLC criticizes Pacific Gas and Electric Company's green tariff programs, suggesting modifications to better serve low-income households and increase the capacity of the Disadvantaged Communities Green Tariff Program (DAC-GT).
FERC Orders and Cases
Discussions include FERC orders related to electric storage and distributed energy resources, emphasizing that community solar facilities and utilities do not engage in wholesale sales.
Treatment of Credits
The treatment of credits from net metering and community solar is debated, with a focus on retail rate design under state jurisdiction.
Solar for All Program and National Community Solar Partnership
The document highlights the importance of targeting low-income households and recommends utilizing various funding sources for renewable energy projects.
Potential Modifications to the NVBT
Suggestions include implementing a net surplus compensation framework and applying it to all surplus energy at the end of the NVBT facility’s Relevant Period.
Recommendations for the NVBT Program
The NVBT program is praised for its flexibility and contribution to peak load reductions, with a call for the Commission to confirm NVBT resources as load modifiers.
Use of Funding Sources
Recommendations include utilizing state and federal funding sources like AB 102 and the Greenhouse Gas Reduction Fund for renewable energy projects.
Targeting Low-Income Households
Emphasizes the importance of automatic enrollment and flat monetary credits on bills for existing program participants.
Challenges with PURPA Prices
Discusses the challenges with PURPA prices in attracting developers to community solar projects and suggests using additional funds to incentivize participation.
Stakeholder Comments
- Valta Energy and The Clean Coalition support the NVBT for its potential to democratize access to solar energy and promote equitable distribution of economic benefits.
- Concerns are raised about the commercial viability of the Community Renewable Energy Program (CREP) and the adequacy of compensation under PURPA’s framework.
Concusion
The documents collectively underscore the potential savings and advantages of deploying NVBT for renewable energy programs in California. Stakeholders urge the Commission to modify or reject the Proposed Decision based on these findings, highlighting the need for a program that benefits all ratepayers, promotes energy efficiency, and ensures participation from low-income households.
Bill to cut California's industrial emissions, shift to zero-emission tech, and prioritize disadvantaged communities by 2045
Renewable Energy Programs Update
The recent documents related to A22-05-022 provide a comprehensive update on the state of renewable energy programs in California, focusing on the Net Value Billing Tariff (NVBT) and community solar projects. Here's a breakdown of the key points and positions from various stakeholders:
Overview of Renewable Energy Programs
- The NVBT and community solar projects are at the forefront, with discussions on their potential to expand renewable energy access.
- Criticisms target the Avoided Cost Calculator (ACC) for not fully recognizing the benefits of NVBT and potentially undermining renewable energy efforts.
Comments on Proposed Decision
- The Coalition for Community Solar Access expresses concerns about the proposed decision not aligning with Assembly Bill 2316 and the potential cost shifts to nonparticipating customers.
- Solar Landscape Origination LLC criticizes Pacific Gas and Electric Company's green tariff programs, suggesting modifications to better serve low-income households and increase the capacity of the Disadvantaged Communities Green Tariff Program (DAC-GT).
FERC Orders and Cases
Discussions include FERC orders related to electric storage and distributed energy resources, emphasizing that community solar facilities and utilities do not engage in wholesale sales.
Treatment of Credits
The treatment of credits from net metering and community solar is debated, with a focus on retail rate design under state jurisdiction.
Solar for All Program and National Community Solar Partnership
The document highlights the importance of targeting low-income households and recommends utilizing various funding sources for renewable energy projects.
Potential Modifications to the NVBT
Suggestions include implementing a net surplus compensation framework and applying it to all surplus energy at the end of the NVBT facility’s Relevant Period.
Recommendations for the NVBT Program
The NVBT program is praised for its flexibility and contribution to peak load reductions, with a call for the Commission to confirm NVBT resources as load modifiers.
Use of Funding Sources
Recommendations include utilizing state and federal funding sources like AB 102 and the Greenhouse Gas Reduction Fund for renewable energy projects.
Targeting Low-Income Households
Emphasizes the importance of automatic enrollment and flat monetary credits on bills for existing program participants.
Challenges with PURPA Prices
Discusses the challenges with PURPA prices in attracting developers to community solar projects and suggests using additional funds to incentivize participation.
Stakeholder Comments
- Valta Energy and The Clean Coalition support the NVBT for its potential to democratize access to solar energy and promote equitable distribution of economic benefits.
- Concerns are raised about the commercial viability of the Community Renewable Energy Program (CREP) and the adequacy of compensation under PURPA’s framework.
Concusion
The documents collectively underscore the potential savings and advantages of deploying NVBT for renewable energy programs in California. Stakeholders urge the Commission to modify or reject the Proposed Decision based on these findings, highlighting the need for a program that benefits all ratepayers, promotes energy efficiency, and ensures participation from low-income households.
Streamline approval process for upgrading transmission facilities by allowing advanced reconductoring projects without construction permits, reducing costs and improving efficiency
Renewable Energy Programs Update
The recent documents related to A22-05-022 provide a comprehensive update on the state of renewable energy programs in California, focusing on the Net Value Billing Tariff (NVBT) and community solar projects. Here's a breakdown of the key points and positions from various stakeholders:
Overview of Renewable Energy Programs
- The NVBT and community solar projects are at the forefront, with discussions on their potential to expand renewable energy access.
- Criticisms target the Avoided Cost Calculator (ACC) for not fully recognizing the benefits of NVBT and potentially undermining renewable energy efforts.
Comments on Proposed Decision
- The Coalition for Community Solar Access expresses concerns about the proposed decision not aligning with Assembly Bill 2316 and the potential cost shifts to nonparticipating customers.
- Solar Landscape Origination LLC criticizes Pacific Gas and Electric Company's green tariff programs, suggesting modifications to better serve low-income households and increase the capacity of the Disadvantaged Communities Green Tariff Program (DAC-GT).
FERC Orders and Cases
Discussions include FERC orders related to electric storage and distributed energy resources, emphasizing that community solar facilities and utilities do not engage in wholesale sales.
Treatment of Credits
The treatment of credits from net metering and community solar is debated, with a focus on retail rate design under state jurisdiction.
Solar for All Program and National Community Solar Partnership
The document highlights the importance of targeting low-income households and recommends utilizing various funding sources for renewable energy projects.
Potential Modifications to the NVBT
Suggestions include implementing a net surplus compensation framework and applying it to all surplus energy at the end of the NVBT facility’s Relevant Period.
Recommendations for the NVBT Program
The NVBT program is praised for its flexibility and contribution to peak load reductions, with a call for the Commission to confirm NVBT resources as load modifiers.
Use of Funding Sources
Recommendations include utilizing state and federal funding sources like AB 102 and the Greenhouse Gas Reduction Fund for renewable energy projects.
Targeting Low-Income Households
Emphasizes the importance of automatic enrollment and flat monetary credits on bills for existing program participants.
Challenges with PURPA Prices
Discusses the challenges with PURPA prices in attracting developers to community solar projects and suggests using additional funds to incentivize participation.
Stakeholder Comments
- Valta Energy and The Clean Coalition support the NVBT for its potential to democratize access to solar energy and promote equitable distribution of economic benefits.
- Concerns are raised about the commercial viability of the Community Renewable Energy Program (CREP) and the adequacy of compensation under PURPA’s framework.
Concusion
The documents collectively underscore the potential savings and advantages of deploying NVBT for renewable energy programs in California. Stakeholders urge the Commission to modify or reject the Proposed Decision based on these findings, highlighting the need for a program that benefits all ratepayers, promotes energy efficiency, and ensures participation from low-income households.
Order Instituting Rulemaking to Advance Demand Flexibility Through Electric Rates.
Last Week's New Decision +1
Decision
California Public Utilities Commission (CPUC) Decision
The California Public Utilities Commission (CPUC) has denied the application for rehearing of Decision 25-08-049.
Rulemaking Status
Additionally, Rulemaking 22-07-005 is officially closed.
Effective Date and Location
This order is effective as of January 15, 2026, and was issued in San Francisco, California.
Application of PACIFIC GAS AND ELECTRIC COMPANY (U39E) for Review of the Disadvantaged Communities – Green Tariff, Community Solar Green Tariff and Green Tariff Shared Renewables Programs.
Last Week's New Ruling +1
Summary of CPUC Ruling on PG&E Disadvantaged Communities – Green Tariff Programs
- Date of Ruling On January 16, 2026, the California Public Utilities Commission issued a ruling.
- Parties Involved The ruling pertains to Pacific Gas and Electric Company's application related to the Disadvantaged Communities – Green Tariff programs.
- Response Period The ruling allows parties ten days to respond to a proposed official notice concerning...
- a letter from the U.S. EPA.
- Termination of Award The letter from the U.S. EPA announces the termination of California’s Solar for All award.
- Response Guidelines Responses are limited to five pages and must address the propriety of taking official notice of the document, which is included as Attachment 1.
- Important Note It is crucial to note that the official notice only acknowledges the existence and content of the documents, not the veracity of their statements.
- Signed By The ruling is signed by Administrative Law Judge Valerie U. Kao.
Order Instituting Rulemaking to Update Rules for the Safety, Reliability, and Resiliency of Electrical Distribution Systems.
Last Week's New Comments +3
Update on CPUC Proceeding R24-05-023: Customer Reliability Report Template Comments
The California Public Utilities Commission (CPUC) is reviewing stakeholder comments on the proposed Customer Reliability Report Template developed by the Joint Investor-Owned Utilities (IOUs). This update provides a sampling of positions from local governments, community choice aggregators, and advocacy groups regarding the adequacy, transparency, and utility of the proposed...
reporting framework.
Adequacy and Scope of the Proposed Template
- Marin Clean Energy (MCE) states that the Joint IOUs’ proposal is a minimal outline that may not include all necessary data or provide useful analysis, making it difficult for stakeholders to extract relevant insights from the raw data provided.
- Cal Advocates criticizes the proposed report for misclassifying Public Safety Power Shutoff (PSPS) events as unplanned outages and conflating customer and meter data, which could obscure utility decision-making and lead to inaccuracies, especially for vulnerable groups.
Definitions, Metrics, and Data Standards
- MCE notes that while the template uses established definitions and industry standards, there is a need for greater clarity, particularly regarding the definition of "Essential Customers" and the thresholds for reliability metrics, which may not accurately reflect customer experiences.
- Cal Advocates recommends distinct categorization of PSPS events and accurate tracking of outage timing, duration, and customer status to ensure the report aligns with existing data sources and provides a consistent view of utility performance.
Frequency and Timeliness of Reporting
- MCE recommends that reporting frequency should be increased from annual to quarterly or monthly, especially given concerns about deteriorating electric system reliability, to provide more timely insights.
Transparency, Confidentiality, and Data Use
- City and County of San Francisco (San Francisco) emphasizes the importance of transparency in IOU data submissions and urges that any confidential data be clearly identified, with non-disclosure agreements used as needed to balance transparency and privacy.
- San Francisco calls for clarity on how the Commission will use the reported information, stressing that reports should inform decisions and drive actions related to safety, reliability, and resiliency, rather than serve as a formality.
- Cal Advocates urges that the notification process for PSPS events be clearly defined and that detailed records be maintained to support analysis related to environmental factors.
Outage Notification and Communication
- San Francisco expresses concern that the proposed aggregated format for outage notifications may hinder effective evaluation of IOU communication strategies. The City advocates for disaggregated data reflecting geographic and demographic factors to better assess notification effectiveness.
- San Francisco highlights that current notification methods often provide inaccurate information about outage durations, which is critical for essential services, and recommends that the Commission require metrics to measure the accuracy of restoration time notifications.
Data for Vulnerable and Impacted Communities
- MCE emphasizes the need for clear, un-averaged data presentation focused on specific circuits and affected communities, particularly to assess impacts on vulnerable populations.
- San Francisco suggests that reports should include historical data to allow for trend analysis over time, which would help in understanding the impact of outages on different communities.
- Cal Advocates notes the risk of inaccuracies for vulnerable groups if customer and meter data are conflated and recommends proper tracking of customer status, including those with Access and Functional Needs (AFN) or Medical Baseline (MBL) status.
Order Instituting Rulemaking to Continue Implementation and Administration, and Consider Further Development, of California Renewables Portfolio Standard Program.
Last Week's New Decision +1
Decision
Overview of CPUC Proceeding R.24-01-017
The California Public Utilities Commission (CPUC) has extended the statutory deadline for proceeding R.24-01-017.
Original Timeline
- Initiation Date: January 25, 2024
- Original Completion Date: January 25, 2026
Reason for Extension
The Commission determined that completion by the original deadline is not feasible and that additional time is required.
New Deadline
- Authority: Public Utilities Code Section 1701.5(a) ...
- Extended Completion Date: January 25, 2028
Order Details
- Order Issued On: January 15, 2026
- Location: San Francisco, California
- Effectiveness: Immediate
This extension ensures sufficient time for the proceeding’s completion.
Order Instituting Rulemaking to Continue Oversight of Electric Integrated Resource Planning and Procurement Processes.
Last Week's New Proposed Decision +1
Proposed Decision
Overview
The California Public Utilities Commission (CPUC) has mandated that load-serving entities (LSEs) enhance reliability procurement between 2029 and 2032 to address an anticipated reliability shortfall of about 6,000 MW by 2032.
Procurement Requirements
- LSEs must secure 2,000 MW of net qualifying capacity (NQC) by June 1, 2030.
- An additional 4,000 MW must be secured by June 1, 2032.
- No more than 50% of the capacity can come from...
- storage resources.
- All procured resources must be zero-emitting or RPS-eligible.
- Contracts must last at least ten years.
- Resources will be accredited using marginal Effective Load Carrying Capability (ELCC) studies.
- Non-compliance will result in penalties based on net Cost of New Entry (CONE).
- LSEs must submit semi-annual compliance filings.
- Extending online dates for some offshore wind resources.
- Analyzing transmission needs under low-wind scenarios.
- 25 million metric tons (MMT) by 2035
- 8 MMT by 2045
- Narrative Template
- Clean System Power (CSP) Calculator
- Resource Data Template (RDT)
- Combined IRP and procurement filings are due: June 1, 2026
- Public comments on any IRP must be submitted by: July 15, 2026
Order Instituting Rulemaking to Implement Senate Bill 520 and Address Other Matters Related to Provider of Last Resort.
Last Week's New Decisions +2
Overview
On January 15, 2026, the California Public Utilities Commission (CPUC) issued Decision 26-01-022, which provides comprehensive guidelines for non-Investor-Owned Utilities (non-IOUs) seeking Provider of Last Resort (POLR) status, as mandated by Senate Bill 520. This decision concludes a rulemaking process that began on March 18, 2021, and incorporates key elements from previous rulings, including the May 28, 2025, Administrative Law Judge’s Ruling and...
Decision D.24-04-009 from April 18, 2024.
Guidelines for Non-IOUs
Under the new guidelines, non-IOUs, such as Community Choice Aggregators (CCAs) and Direct Access (DA) Providers, must submit detailed implementation plans. These plans must demonstrate their ability to provide universal, equitable service to all customer classes, in accordance with SB 520’s prohibition on class-specific service.
- Existing Commission-regulated services
- Potential conflicts of interest
- Mechanisms to prevent cost-shifting between POLR and current customers
The CPUC will assess each application individually, focusing on the applicant’s technical, financial, and legal qualifications, as well as insurance and financial safeguards.
Application Process
The order requires non-IOUs to include major IOUs as respondents in their applications; however, IOUs cannot block applications. Joint applications are encouraged, and the Commission will resolve threshold issues such as regulatory scope and cost recovery.
Non-IOUs must file a Petition for Rulemaking at least 12 months prior to applying for POLR status, allowing the CPUC to establish requirements for similar entities.
Current Status
As of now, no non-IOU has applied to serve as POLR for all customers in a region, although some have expressed interest under specific conditions. The proceeding is now closed, and the CPUC's focus has shifted to implementing these guidelines for future applicants, ensuring robust evaluation and tailored criteria for each case.
Order Instituting Rulemaking to Establish Energization Timelines.
Last Week's New Comments +10
Update on Recent Comments in CPUC Proceeding R24-01-018: Standard Offer for Flexible Service Connections (FSC)
The California Public Utilities Commission (CPUC) is considering a Proposed Decision (PD) to establish a standardized Flexible Service Connection (FSC) agreement, intended to provide temporary capacity solutions for customers awaiting full service. On January 16, 2026, a range of stakeholders—including utilities, advocacy organizations, trade groups, and...
technology providers—submitted comments on the PD. The following is a sampling of parties' positions, organized by key topics addressed in the comments.
Scope and Applicability of the Standard Offer FSC
- EDF recommends extending FSC requirements to San Diego Gas & Electric (SDG&E), in addition to Pacific Gas & Electric (PG&E) and Southern California Edison (SCE).
- Clean Coalition urges the Commission to require all investor-owned utilities (IOUs), including SDG&E, to develop a standard offer FSC, arguing that the need for such agreements is statewide.
- TURN recommends that SDG&E develop an FSC Standard Offer alongside PG&E and SCE.
Definition of Upstream Capacity and Eligibility
- Advanced Energy United argues that the PD’s definition of "Upstream Capacity" is too narrow, as it limits eligibility to polyphase primary distribution networks and excludes many projects on single-phase circuits. United recommends revising the definition to include both polyphase and single-phase systems.
- Enphase Energy calls for a revision to the definition of "Upstream Capacity" to include single-phase secondary distribution networks, noting that the current definition could exclude many residential customers from FSC eligibility.
Customer Access, Data Transparency, and Application Process
- CalCCA recommends that IOUs be required to make information about available shared capacity easily accessible to applicants and to upgrade online application portals to facilitate communication about capacity sharing opportunities. CalCCA also urges the integration of accurate Integration Capacity Analysis (ICA) data into the energization process.
- CALSTART recommends that utilities clarify how customers can access Limited Load Profiles (LLPs) and formalize a pre-application LLP access process to assist with planning.
- SDG&E asserts that its current customer load intake process is effective and opposes adding a formal preliminary capacity evaluation step, which it views as unnecessary and burdensome.
Cost, Ratepayer Protections, and Reporting
- TURN urges clarification that the Standard Offer should not impose extra costs on non-participating ratepayers and recommends annual cost-efficiency reports from IOUs.
- Cal Advocates calls for greater clarity and transparency, including specifying criteria for demonstrating customer and ratepayer benefits, and adding tracking fields to evaluate LLP implementation and capacity utilization.
- SDG&E emphasizes that expanded data tracking should consider affordability and customer benefits, and proposes removing certain data fields it views as duplicative or of limited value.
Load Control, Compliance, and Safety
- SCE urges modifications to the PD’s “trust-and-verify” approach for load control devices, advocating for telemetry options and a faster response time for power control systems (reducing from 30 seconds to 2 seconds).
- SDG&E expresses concerns about the "trust-and-verify" compliance model, stating it could limit utilities’ ability to ensure adherence to load limitations and system reliability. SDG&E advocates for utility discretion in verifying compliance with LLPs.
- EDF recommends clarifying “safe harbor” language for UL 3141 Power Control Systems and requiring utilities to offer single-value FSCs to simplify participation.
Inclusion of Distributed Energy Resources (DERs) and Storage
- Enphase Energy requests explicit inclusion of solar paired with storage and standalone storage in engineering evaluations for FSCs, and supports directing utilities to consider both load and generation outputs in their evaluations.
Implementation Timelines and Process
- SCE calls for extended compliance timelines, arguing that the PD’s deadlines are overly aggressive and could burden utilities and customers. SCE also opposes the immediate rollout of a non-tariffed interim FSC program, preferring to continue its existing Load Control Management Systems (LCMS) process until a new tariff is approved.
- CALSTART urges the Commission to set strict timelines for utilities’ administrative reviews of service applications (5-day average, 10-day maximum) to reduce delays, and recommends that the PD take effect for SDG&E and PacifiCorp when upstream capacity constraints arise.
Data Collection and Performance Tracking
- Clean Coalition recommends including tracking fields to evaluate LLP implementation and capacity utilization.
- Cal Advocates calls for biannual reporting on the performance of the Standard Offer, including cost and performance tracking, to ensure effective use of existing capacity.
- SCE recommends biannual reporting on Standard Offer data and assessment of learnings from the Load Control Management Study pilot.
Design of FSC Offerings and Load Profiles
- Clean Coalition recommends that the standard FSC include at least three daily signals, or a third daily value when it aligns with grid conditions or decarbonization goals, to better support state decarbonization objectives.
- EDF urges utilities to offer single-value FSCs to simplify participation and recommends tracking customer energization timelines and collecting comprehensive data on load limits.
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