Filings for 52373
Case Style REVIEW OF WHOLESALE ELECTRIC MARKET DESIGN
410 filing(s).
Item | File Stamp | Party | Item Type | Filing Description |
---|---|---|---|---|
180 | 10/19/2021 | ACEEE | COM | [PDF] Slides on ACEEE White Paper (Energy Efficiency and Demand Response: Tools to Address Texas's Reliability Challenges) |
400 | 3/7/2023 | PUC RULES & PROJECTS | PRJ | 03.09.2023 OM - Memo and Questions for Stakeholder Feedback |
273 | 12/10/2021 | TexGen Power, LLC | COM | 12CNP: A Hybrid of the Phase II Market Design Proposals |
323 | 12/10/2021 | ENVIRONMENTAL DEFENSE FUND INC | COM | 52373 Blueprint Comments w/Exec. Sum |
302 | 12/10/2021 | NEXTERA ENERGY RESOURCES, LLC | PL | 52373 NextEra Comments for Phase II Market Design Proposal |
212 | 11/1/2021 | NEXTERA ENERGY RESOURCES, LLC | PL | 52373 NextEra Comments to Commission Questions |
169 | 9/30/2021 | NEXTERA ENERGY RESOURCES, LLC | COM | 52373 NextEra Comments to Commissioner's Questions |
362 | 4/11/2022 | Brad Bowen | PC | A market-based version of the LSE obligation proposal. |
134 | 9/30/2021 | Energy and Environmental Economics | MISC | A proposal for a wholesale electric market design reform for ERCOT in response to the provisions of SB3 calling for "requirements to meet the reliability needs of the power region." |
307 | 12/10/2021 | AARP | COM | AARP Comments on Phase II Market Design Concepts and Principles |
34 | 8/16/2021 | AARP | COM | AARP's Response to Questions for Comment |
59 | 8/16/2021 | Able Grid Energy Solutions | COM | Able Grid Responses to Commission Questions |
104 | 9/9/2021 | ACEEE | COM | ACEEE - Demand Response Comments (52373) |
151 | 9/30/2021 | ACEEE | COM | ACEEE - Market Design Recommendations (52373) |
408 | 8/16/2023 | Texas Consumer Assn | COM | ACEEE report, EE & DR: Tools for Texas Reliability 8/23 |
174 | 10/13/2021 | ACEEE | COM | ACEEE White Paper on Energy Efficiency and Demand Response Tools to Address Texas's Reliability Challenges |
263 | 12/1/2021 | SIERRA CLUB | COM | Additional Comments in Project 52373, including initial reaction to McAdams and Cobos memos |
248 | 11/11/2021 | Sierra Club | ADMN | Additional comments on 52373 and submitting analysis by ERCOT of MRTRM and Tetra Tech analysis of TDU EE programs |
18 | 8/16/2021 | CITY OF AUSTIN D/B/A AUSTIN ENERGY | COM | AE Market Design Comments |
24 | 8/16/2021 | Advanced Energy Management Alliance | COM | AEMA Responses to Commission Questions |
72 | 8/23/2021 | PUC Deputy Executive Director | MISC | Agenda - August 26, 2021 Work Session |
235 | 11/1/2021 | Renewable Energy Buyers Alliance | COM | Amended Comments. V2. REBA's comments on Project 52373 Market Design docket, encouraging the Commission to concretely identify the reliability challenges that the proposed solutions are intended to address before adopting any technology-neutral solution. |
336 | 1/13/2022 | PUC OPDM | PL | APPROVAL OF BLUEPRINT FOR WHOLESALE ELECTRIC MARKET DESIGN AND DIRECTIVES TO ERCOT |
203 | 11/1/2021 | CITY OF AUSTIN D/B/A AUSTIN ENERGY | COM | Austin Energy's Response to Commission Staff's October 26, 2021 Request for Comment |
228 | 11/1/2021 | BASF Corporation | PRJ | BASF comments on ERCOT market redesign. |
312 | 12/10/2021 | BASF Corporation | PC | BASF Corporation's Comments on Phase II ERCOT Market Design Proposals |
246 | 11/5/2021 | PUC MARKET ANALYSIS | MISC | Brattle Group Impact Assessment of ORDC Changes |
255 | 11/19/2021 | PUC MARKET ANALYSIS | COM | Brattle Group Market Design Options for Managing Reliability in ERCOT |
240 | 11/1/2021 | Bridgelink Commodities, LLC | ADMN | Bridgelink Comments on ERCOT Market Redesign |
190 | 11/1/2021 | BROAD REACH POWER LLC | MISC | Broad Reach Power LLC's Response to Market Design Questions |
22 | 8/16/2021 | BROAD REACH POWER LLC | MISC | Broad Reach Power LLC's Response to Market Design Questions |
167 | 9/30/2021 | BROAD REACH POWER LLC | MISC | Broad Reach Power's Executive Summary |
160 | 9/30/2021 | CALPINE CORPORATION | MISC | Calpine Corporation's ERCOT Market Design Recommendations |
305 | 12/10/2021 | CALPINE CORPORATION | MISC | Calpine Corporation's Phase II ERCOT Market Design Comments in Response to December 2, 2021 Memo |
49 | 8/16/2021 | CALPINE CORPORATION | MISC | Calpine Corporation's Response to Market Design Questions |
220 | 11/1/2021 | CALPINE CORPORATION | MISC | Calpine Corporation's Response to October 25, 2021 Questions |
276 | 12/10/2021 | Clean Energy Buyers Association | COM | CEBA urges Phase 1 “Next Steps” to be a part of the Commission’s Phase 2, we urge the Commission to incorporate a principle "Proposals must balance reliability needs with the cost impact to customers," and ensure a robust stakeholder process in Phase II. |
3 | 8/4/2021 | CHAIRMAN LAKE | MISC | Chairman Lake Memo - Schedule for Upcoming Work Sessions |
265 | 12/1/2021 | Chairman Peter Lake | MISC | Chairman Lake Memo regarding 2nd Strawman for ERCOT Market Redesign. |
182 | 10/20/2021 | CHAIRMAN LAKE | MISC | Chairman Lake Memo regarding ERCOT market redesign. |
191 | 11/1/2021 | CITY OF DENTON | MISC | City of Denton dba Denton Municipal Electric's Response to Staff's 10/25/21 Questions for Comment |
10 | 8/16/2021 | CITY OF DENTON | COM | City of Denton dba Denton Municipal Electric's Response to Staff's Questions for Comment |
12 | 8/16/2021 | CITY OF GARLAND | COM | City of Garland's Response to Staff's Questions for Comment |
52 | 8/16/2021 | Public Citizen | COM | COMES NOW Public Citizen and files these Comments in response to the Commission’s Questions for Comment filed in this proceeding on August 2, 2021. |
51 | 8/16/2021 | Texas Public Interest, Consumer and Community Organizations | COM | COMES NOW the undersigned Texas public interest, consumer and community organizations and files these Comments in response to the Commission’s Questions for Comment filed in this proceeding on August 2, 2021. |
50 | 8/16/2021 | Advanced Power Alliance | COM | Comments |
75 | 8/24/2021 | Southern Cross Transmission LLC | PL | Comments |
165 | 9/30/2021 | National Grid Renewables | COM | Comments |
274 | 12/10/2021 | GOLDEN SPREAD ELECTRIC COOPERATIVE INC. | COM | Comments |
241 | 11/2/2021 | ERCOT Innovation Caucus | COM | comments |
238 | 11/1/2021 | SUMMER ENERGY, LLC | COM | Comments |
292 | 12/10/2021 | SOUTHERN POWER COMPANY | COM | Comments |
127 | 9/13/2021 | TxETRA | PC | Comments amended on Page 2 to fix an error that occurred when transcribing a number. |
136 | 9/30/2021 | Cypress Creek Renewables, LLC | PC | Comments by Cypress Creek Renewables on Regulatory and Market Reforms as part of 52373 |
338 | 1/27/2022 | Rep. Jared Patterson | COM | Comments by Rep. Jared Patterson on ERCOT Wholesale Market Design |
7 | 8/15/2021 | Sierra Club, Lone Star Chapter | COM | Comments filed in response to questions submitted by PUC on market design |
123 | 9/9/2021 | South central Partnership for Energy Efficiency as a Resource | COM | Comments filed in response to questions submitted by the PUC on market design |
221 | 11/1/2021 | Intersect Power | COM | Comments filed on the Commission's list of questions regarding LSE Obligation and alternatives. |
5 | 8/13/2021 | Richard Howe | ADMN | Comments for Project 52373 - Review of Wholesale Electric Market Design |
82 | 9/8/2021 | Richard Howe | ADMN | Comments for Project 52373 - Review of Wholesale Electric Market Design, Questions posted 9/2/21 |
324 | 12/11/2021 | Patricia Morgan-private citizen | ADMN | Comments for PUC meeting on 12/16/21 |
111 | 9/9/2021 | Advanced Energy Management Alliance | COM | Comments in Response to Commission Questions |
234 | 11/1/2021 | Advanced Energy Management Alliance | COM | Comments in Response to Commission Questions of October 25, 2021 |
16 | 8/16/2021 | DER Task Force | COM | Comments in Response to Wholesale Market Design Review |
257 | 11/22/2021 | BANDERA ELECTRIC COOPERATIVE, INC. | COM | Comments in support of the PUCT and ERCOT relying on energy efficiency and demand response more effectively for grid reliability and affordability. |
316 | 12/10/2021 | Able Grid Energy Solutions | COM | Comments of Able Grid Energy Solutions on Second Strawman Blueprint |
320 | 12/10/2021 | Texas Consumer Association and Alison Silverstein | COM | Comments of Alison Silverstein and Texas Consumer Association on Phase II Market Redesign Proposals |
45 | 8/16/2021 | Apex Compressed Air Energy Storage, LLC | COM | Comments of Apex Compressed Air Energy Storage, LLC regarding PUCT project no. 52373 Review of Wholesale Electric Market Design |
115 | 9/9/2021 | CENTERPOINT ENERGY HOUSTON ELECTRIC, LLC | PRJ | COMMENTS OF CENTERPOINT ENERGY HOUSTON ELECTRIC, LLC |
126 | 9/10/2021 | Conservative Texans for Energy Innovation | COM | Comments of Conservative Texans for Energy Innovation |
359 | 3/30/2022 | Conservative Texans for Energy Innovation | COM | Comments of CTEI Regarding Recent Letters on Market Design |
58 | 8/16/2021 | EDF Trading North America, LLC | COM | Comments of EDF Trading North America, LLC in Project 52373 |
99 | 9/9/2021 | ERCOT | MISC | COMMENTS OF ELECTRIC RELIABILITY COUNCIL OF TEXAS, INC. IN RESPONSE TO COMMISSION STAFF’S QUESTIONS |
210 | 11/1/2021 | ERCOT | MISC | COMMENTS OF ELECTRIC RELIABILITY COUNCIL OF TEXAS, INC. IN RESPONSE TO COMMISSION STAFF’S QUESTIONS |
67 | 8/17/2021 | Enchanted Rock LLC | COM | Comments of Enchanted Rock LLC RE: PUCT Staff August 3, 2021 Memorandum |
321 | 12/10/2021 | Enchanted Rock LLC | COM | Comments of Enchanted Rock LLC RE: PUCT Staff December 6, 2021 Memorandum |
205 | 11/1/2021 | Enchanted Rock LLC | COM | Comments of Enchanted Rock LLC Re: PUCT Staff October 25, 2021, Memorandum |
118 | 9/9/2021 | Enchanted Rock LLC | COM | Comments of Enchanted Rock LLC RE: PUCT Staff September 2, 2021 Memorandum |
294 | 12/10/2021 | Eolian, L.P. | COM | Comments of Eolian on Second Strawman Blueprint |
315 | 12/10/2021 | EXELON GENERATION COMPANY LLC | COM | Comments of Exelon Generation Company, LLC |
93 | 9/9/2021 | EXELON GENERATION COMPANY, LLC | COM | Comments of Exelon Generation Company, LLC |
28 | 8/16/2021 | Exelon Generation Company, LLC | COM | Comments of Exelon Generation Company, LLC |
159 | 9/30/2021 | EXELON GENERATION COMPANY LLC | COM | Comments of Exelon Generation Company, LLC |
216 | 11/1/2021 | EXELON GENERATION COMPANY LLC | COM | Comments of Exelon Generation Company, LLC |
17 | 8/16/2021 | Form Energy | COM | Comments of Form Energy |
342 | 2/23/2022 | Kinder Morgan, Inc. | COM | Comments of Kinder Morgan, Inc. Regarding Proposed Firm Fuel Supply Service and NPRR 1120 |
171 | 9/30/2021 | National Association of Energy Service Companies | COM | Comments of NAESCO in response to Commission questions and in support of several parties' previous comments. |
207 | 11/1/2021 | OhmConnect Texas LLC | COM | Comments of OhmConnect Texas LLC |
6 | 8/13/2021 | OhmConnect Texas LLC | COM | Comments of OhmConnect Texas LLC |
84 | 9/9/2021 | OhmConnect Texas LLC | COM | Comments of OhmConnect Texas LLC Regarding the ERCOT Market Design |
98 | 9/9/2021 | Resideo Technologies, Inc. | PC | Comments of Resideo Technologies, Inc. on Project No. 52373-Review of Wholesale Electric Market Design |
69 | 8/18/2021 | Resideo Technologies, Inc. | COM | Comments of Resideo Technologies, Inc. on Project Nos. 52373 and 52268 |
243 | 11/2/2021 | Robert L Borlick | COM | Comments of Robert L Borlick on the ACEEE White Paper |
70 | 8/19/2021 | Robert L. Borlick | COM | Comments of Robert L. Borlick regarding the adequacy of residential demand response within the ERCOT footprint. |
317 | 12/10/2021 | Ron McNamara | COM | Comments of Ron McNamara on LSE Obligation Proposal |
264 | 12/1/2021 | Ron McNamara | COM | Comments of Ron McNamara Regarding Encouraging New Investment in ERCOT |
334 | 1/12/2022 | SIERRA CLUB | COM | COMMENTS OF SIERRA CLUB ON NEED TO OPEN UP A ROBUST RULEMAKING ON UTILITY ENERGY EFFICIENCY AND LOAD MANAGEMENT PROGRAMS & Submittal of Related SPEER 2019 report on Utility Efficiency Programs |
94 | 9/9/2021 | SIERRA CLUB | COM | Comments of Sierra Club to PUC on Demand Response and Energy Efficiency |
269 | 12/8/2021 | Southern Cross Transmission LLC | PC | Comments of Southern Cross Transmission LLC Regarding DC Tie Issues Relevant to Post-Uri Market Reforms |
204 | 11/1/2021 | SOUTHERN POWER COMPANY | COM | Comments of Southern Power Company |
157 | 9/30/2021 | Southern Power Company | COM | Comments of Southern Power Company |
47 | 8/16/2021 | Southern Power Company | COM | Comments of Southern Power Company |
106 | 9/9/2021 | Texas Advanced Energy Business Alliance | COM | Comments of Texas Advanced Energy Business Alliance in Response to the Commission's Questions Regarding Demand Response |
103 | 9/9/2021 | TEXAS ELECTRIC COOPERATIVES, INC. | COM | COMMENTS OF TEXAS ELECTRIC COOPERATIVES, INC. |
23 | 8/16/2021 | TEXAS ELECTRIC COOPERATIVES, INC. | COM | COMMENTS OF TEXAS ELECTRIC COOPERATIVES, INC. |
194 | 11/1/2021 | TEXAS ELECTRIC COOPERATIVES, INC. | COM | COMMENTS OF TEXAS ELECTRIC COOPERATIVES, INC. |
280 | 12/10/2021 | TEXAS ELECTRIC COOPERATIVES, INC. | COM | COMMENTS OF TEXAS ELECTRIC COOPERATIVES, INC. |
217 | 11/1/2021 | Advanced Power Alliance and American Clean Power | COM | COMMENTS OF THE ADVANCED POWER ALLIANCE AND AMERICAN CLEAN POWER ASSOCATION IN RESPONSE TO 10/26/2021 STAFF MEMO |
283 | 12/10/2021 | Advanced Power Alliance and American Clean Power Association | COM | COMMENTS OF THE ADVANCED POWER ALLIANCE AND AMERICAN CLEAN POWER ASSOCIATION IN RESPONSE TO 12.6.21 STAFF BLUEPRINT |
9 | 8/16/2021 | American Council on Renewable Energy | COM | Comments of the American Council on Renewable Energy's U.S. Partnership for Renewable Energy Finance on changes to ERCOT market structure |
187 | 11/1/2021 | The R Street Institute | COM | Comments of the R Street Institute in response to request for comments on questions by PUC staff. |
313 | 12/10/2021 | Texas Public Policy Foundation | COM | Comments of the Texas Public Policy Foundation on Phase II Market Redesign Proposals |
135 | 9/30/2021 | Texas Public Policy Foundation | COM | Comments of the Texas Public Policy Foundation on Wholesale Electric Market Design |
172 | 9/30/2021 | Texas Electric Transportation Resources Alliance | PRJ | Comments of TxETRA on Market design |
91 | 9/9/2021 | Texas Electric Transportation Resources Alliance | PRJ | Comments of TxETRA on the demand response questions in docket 52373 |
62 | 8/16/2021 | Voltus | COM | Comments of Voltus on Texas Market Design |
272 | 12/10/2021 | Sierra Club | COM | Comments on Blueprint (12/6) and Copies of Petitions calling for Robust Public Participation |
107 | 9/9/2021 | LOWER COLORADO RIVER AUTHORITY | PRJ | Comments on Demand Response |
386 | 12/15/2022 | Clearway Energy Group | COM | Comments on E3 Report and PUC Staff Memo on Market Design |
155 | 9/30/2021 | SIERRA CLUB | COM | Comments on HCAP, ERS and 3 New Market Ideas (Energy Efficiency, Demand Reduction Obligation and Peak Ahead Market) |
137 | 9/30/2021 | Voltus | COM | Comments on market design |
195 | 11/1/2021 | Environmental Defense Fund, Texas Consumer Association, and Alison Silverstein | COM | Comments on Market Design questions and LSE |
392 | 1/23/2023 | GENE SCOTT | PRJ | COMMENTS ON NEW POWER SUGGESTION |
285 | 12/10/2021 | LOWER COLORADO RIVER AUTHORITY | PRJ | Comments on Phase II Market Design Concepts |
287 | 12/10/2021 | STEERING COMMITTEE OF CITIES SERVED BY ONCOR | COM | Comments on Phase II Market Design Proposals |
60 | 8/16/2021 | Audubon Texas | ADMN | comments on Project 52373 Market Redesign |
192 | 11/1/2021 | Sierra Club | ADMN | Comments on PUC Questions regarding market design, and proposed LSE Obligation |
83 | 9/9/2021 | Stathis Tompaidis, individual | COM | Comments on questions regarding demand response systems |
354 | 3/21/2022 | Texas Public Policy Foundation | COM | Comments on South Texas Electric Cooperative Market Reform Proposal |
306 | 12/10/2021 | Clearway Energy Group | PC | Comments on the 2nd PUCT Market Design Strawman Blueprint |
300 | 12/10/2021 | South-central Partnership for Energy Efficiency as a Resource | COM | Comments on the review of wholesale electric market design |
11 | 8/16/2021 | ONCOR ELECTRIC DELIVERY COMPANY LLC | COM | COMMENTS REGARDING DC TIES |
369 | 5/10/2022 | Ron McNamara | COM | Comments Regarding Recent MISO Capacity Market Results |
124 | 9/9/2021 | Public Citizen | COM | Comments supporting expansion of demand response |
244 | 11/3/2021 | COMMISSIONER MCADAMS | PL | Commission McAdams Memo |
185 | 10/27/2021 | PUC LEGAL | PL | COMMISSION STAFF’S MOTION FOR GOOD CAUSE EXCEPTION |
389 | 1/18/2023 | PUC OPDM | PL | COMMISSIONER COBOS MEMORANDA |
253 | 11/18/2021 | COMMISSIONER COBOS | PL | COMMISSIONER COBOS' MEMO |
184 | 10/27/2021 | COMMISSIONER MCADAMS | PL | Commissioner McAdam's Memo |
173 | 10/13/2021 | COMMISSIONER MCADAMS | PL | Commissioner McAdam's Memo |
133 | 9/22/2021 | COMMISSIONER MCADAMS | PL | Commissioner McAdam's Memo |
249 | 11/17/2021 | COMMISSIONER MCADAMS | PL | Commissioner McAdams Memo |
250 | 11/17/2021 | COMMISSIONER MCADAMS | PL | Commissioner McAdams Memo |
406 | 6/14/2023 | PUC OPDM | PRJ | COMMISSIONER MCADAMS MEMO |
398 | 2/15/2023 | PUC OPDM | PL | COMMISSIONER MCADAMS MEMO |
328 | 12/14/2021 | COMMISSIONER MCADAMS | PL | COMMISSIONER MCADAMS' MEMO |
128 | 9/14/2021 | COMMISSIONER MCADAMS | PL | Commissioner McAdams' Memo |
407 | 8/2/2023 | PUC OPDM | PRJ | COMMISSIONER MEMORANDUM |
372 | 5/25/2022 | COMMISSIONER WILL MCADAMS | PRJ | Commissioner Memorandum |
363 | 4/20/2022 | COMMISSIONER MCADAMS | PL | COMMISSIONER MEMORANDUM |
326 | 12/13/2021 | Suite, Annie | COM | Concerned Citizen... Power Grid |
1 | 7/30/2021 | PUC RULES & PROJECTS | PRJ | Control No. Request Form |
353 | 3/18/2022 | HUNT ENERGY NETWORK L.L.C. | LTRS | CORRECTION: JOINT PETITIONERS’ RESPONSE TO MEDINA ELECTRIC COOPERATIVE’S LETTER REGARDING THE REQUEST FOR PROJECT INITIATION RELATED TO BATTERY ENERGY STORAGE SYSTEMS AT DISTRIBUTION VOLTAGE |
26 | 8/16/2021 | Conservative Texans for Energy Innovation | COM | CTEI Comments |
293 | 12/10/2021 | Conservative Texans for Energy Innovation | COM | CTEI Comments on 2nd Strawman Blueprint |
208 | 11/1/2021 | Conservative Texans for Energy Innovation | COM | CTEI Comments on PUC 10-26-21 Questions |
197 | 11/1/2021 | Cypress Creek Renewables | COM | Cypress Creek Renewables comments in response to 10/26 Request for Comments from PUCT staff |
314 | 12/10/2021 | Cypress Creek Renewables, LLC | COM | Cypress Creek's Comments on Staff's December 6 Memo in 52373 Docket |
121 | 9/9/2021 | Demand Control 2 Services, LLC | COM | Demand Control 2 Service's Comments to Commission Staff's Questions |
88 | 9/9/2021 | Environmental Defense Fund/Alison Silverstein | COM | Demand Response (52373) Comments |
225 | 11/1/2021 | Windrose Power & Gas, LLC | ADMN | Docket No. 52373 Windrose Power & Gas, LLC Additional Comments |
114 | 9/9/2021 | WINDROSE POWER & GAS, LLC | ADMN | Docket No. 52373 Windrose Power & Gas, LLC Comments |
329 | 12/15/2021 | Energy and Environmental Economics, Inc. | LTRS | E3 and Beth Garza response to Texas Association of Manufacturers December 13th letter |
211 | 11/1/2021 | Energy and Environmental Economics, Inc. | COM | E3 and Beth Garza responses to PUCT questions issued on October 26, 2021 |
382 | 11/10/2022 | PUC MARKET ANALYSIS | MISC | E3 Report and Staff Memo |
232 | 11/1/2021 | EAST TEXAS ELECTRIC COOPERARTIVE INC. | PL | EAST TEXAS ELECTRIC COOPERATIVE, INC.’S COMMENTS |
299 | 12/10/2021 | EAST TEXAS ELECTRIC COOPERARTIVE INC. | COM | EAST TEXAS ELECTRIC COOPERATIVE, INC.’S COMMENTS ON PHASE II |
409 | 8/21/2023 | ERCOT | PL | ELECTRIC RELIABILITY COUNCIL OF TEXAS, INC.’S PROPOSAL REGARDING VOLTAGE SUPPORT COMPENSATION |
397 | 2/3/2023 | Enchanted Rock, LLC. | COM | Enchanted Rock Letter Re: Development of Phase 2 of ERCOT's Firm Fuel Supply Service |
381 | 11/7/2022 | Enchanted Rock, LLC | COM | Enchanted Rock Letter Re: Second Procurement of Firm Fuel Supply Service Product |
105 | 9/9/2021 | Enel North America | COM | Enel Comments in Project 52373 on Demand Response |
275 | 12/10/2021 | ENEL NORTH AMERICA, INC. | ADMN | Enel Comments on Load Obligation |
224 | 11/1/2021 | ENEL NORTH AMERICA, INC. | COM | Enel comments on PUCT October 26 questions |
146 | 9/30/2021 | ENEL NORTH AMERICA, INC. | COM | Enel North America Comments in Project 52373 |
35 | 8/16/2021 | ENEL NORTH AMERICA, INC. | ADMN | Enel's Comments in 52373 |
57 | 8/16/2021 | Energy Innovation LLC | COM | Energy Innovation: Policy and Technology LLC (EI) files these Comments in response to the Commission’s Questions for Comment filed in this proceeding on August 2, 2021. |
21 | 8/16/2021 | ENGIE NORTH AMERICA INC. | COM | Engie North America, Inc.'s Comments In Response To Commission Staff's Questions For Comment |
201 | 11/1/2021 | Engie North America, Inc. | COM | Engie North America, Inc.'s Comments in Response to Commission Staff's Questions for Comment |
297 | 12/10/2021 | ENGIE NORTH AMERICA, INC. | COM | ENGIE North America, Inc.'s Comments in Response to Commission Staff's Questions for Comment |
43 | 8/16/2021 | ENVIRONMENTAL DEFENSE FUND INC | COM | Environmental Defense Fund, Inc. (“EDF”) comments. |
252 | 11/18/2021 | Eolian | COM | Eolian Comments on Commissioner McAdams' Memorandum |
153 | 9/30/2021 | Eolian | COM | Eolian Comments on Market Design |
209 | 11/1/2021 | Eolian | COM | Eolian Comments on PUC Questions |
262 | 12/1/2021 | Eolian | COM | Eolian Comments regarding Brattle Statements and TCPA Comments |
403 | 3/21/2023 | ERCOT | LTRS | ERCOT CORRECTION TO AGGREGATED FUEL-USE SURVEY FILED ON MARCH 7, 2023 |
163 | 9/30/2021 | ERCOT Innovation Caucus | COM | ERCOT Innovation Caucus Comments |
319 | 12/10/2021 | ERCOT Innovation Caucus | COM | ERCOT Innovation Caucus Comments on Dec 6 memo |
339 | 2/9/2022 | ERCOT | LTRS | ERCOT LETTER REGARDING BACKUP RESERVE SERVICE |
379 | 9/27/2022 | ERCOT | LTRS | ERCOT LETTER REGARDING FFSS PHASE I PROCUREMENT RESULTS |
344 | 2/23/2022 | ERCOT | LTRS | ERCOT Letter regarding Firm Fuel in ERCOT |
348 | 3/11/2022 | ERCOT | LTRS | ERCOT LETTER REGARDING FIRM FUEL IN ERCOT - WITH CORRECTION |
343 | 2/23/2022 | ERCOT | LTRS | ERCOT Letter regarding Firm Fuel In other ISOs |
340 | 2/15/2022 | ERCOT | LTRS | ERCOT PHASE II MARKET DESIGN FILING |
267 | 12/5/2021 | Billy Breitkreutz | ADMN | ERCOT Reform |
410 | 9/21/2023 | ERCOT | LTRS | ERCOT REPORT OF THE SECOND PROCUREMENT OF THE RELIABILITY PRODUCT, FIRM FUEL SUPPLY SERVICE (FFSS) |
181 | 10/19/2021 | ERCOT stakeholders | COM | ERCOT stakeholders Reliability & Market Design Improvement Recommendations |
8 | 8/16/2021 | ERCOT STEEL MILLS | COM | ERCOT STEEL MILLS COMMENTS ON COMMISSION QUESTIONS ON WHOLESALE MARKET DESIGN |
206 | 11/1/2021 | ERCOT STEEL MILLS | COM | ERCOT STEEL MILLS COMMENTS ON STAFF QUESTIONS RELATED TO ERCOT MARKET REDESIGN |
85 | 9/9/2021 | ERCOT STEEL MILLS | COM | ERCOT STEEL MILLS' COMMENTS ON QUESTIONS RELATED TO DEMAND RESPONSE |
277 | 12/10/2021 | ERCOT STEEL MILLS | COM | ERCOT STEEL MILLS’ COMMENTS ON PHASE II MARKET DESIGN CONCEPTS AND PRINCIPLES |
394 | 1/23/2023 | ERCOT | LTRS | ERCOT Update on Development of Phase 2 of ERCOT’s Firm Fuel Supply Service and Request for Guidance |
401 | 3/7/2023 | ERCOT | LTRS | ERCOT'S LETTER TO CHAIRMAN AND COMMISSIONERS RE AGGREGATED RESULTS OF FUEL-USE SURVEY |
402 | 3/20/2023 | ERCOT | LTRS | ERCOT’S FOLLOW-UP INFORMATION RE THE PROPOSED RELIABILITY STANDARD FRAMEWORK AND POTENTIAL REQUEST FOR PROPOSAL (RFP) FOR A VALUE OF LOST LOAD (VOLL) CONSULTANT |
25 | 8/16/2021 | EV.ENERGY CORP | COM | EV.ENERGY CORP ("ev.energy") Comments in Response to Staff's Questions for Comment |
90 | 9/9/2021 | EV.ENERGY CORP | COM | EV.ENERGY CORP ("ev.energy") Comments in Response to Staff's Questions for Comment on Residential Demand Response |
89 | 9/9/2021 | Environmental Defense Fund/Alison Silverstein | COM | Executive Summary - Demand Response Comments (52373) |
102 | 9/9/2021 | RAYBURN COUNTRY ELECTRIC COOPERATIVE, INC. | MISC | Executive Summary Regarding the Commission's September 2, 2021 Questions (Project #52373) |
367 | 5/4/2022 | SIERRA CLUB | COM | Filing comments on annual TDU energy efficiency plans in both 52373 and 52949 |
374 | 6/15/2022 | TESLA INC. | COM | Filing of Tesla, Inc. in Wholesale Market Design proceeding. |
396 | 1/31/2023 | Kinder Morgan, Inc. and Enterprise Products | COM | Firm Fuel Supply Service "Qualifying Pipeline" Presentation on Behalf of Kinder Morgan, Inc. and Enterprise Products |
40 | 8/16/2021 | Texas Electric Transporation Resources Alliance | COM | First round of comments on 52373 |
144 | 9/30/2021 | Form Energy | COM | Form Energy Comments on Market Design |
260 | 12/1/2021 | FTI-CL Energy | COM | FTI-CL Comments on DPS Proposal |
298 | 12/10/2021 | FTI-CL Energy | COM | FTI-CL Comments on Market Design Proposals |
347 | 3/7/2022 | FTI-CL Energy | COM | FTI-CL Memo on Qualitative Assessment of Policy Proposals in Energy Markets |
270 | 12/10/2021 | General Motors LLC | COM | General Motors comments regarding docket 52373 on ERCOT Market Redesign |
87 | 9/9/2021 | Google LLC | COM | Google comments related to residential demand response |
213 | 11/1/2021 | GOLDEN SPREAD ELECTRIC COOPERATIVE, INC. | COM | GSEC's Comments |
380 | 10/26/2022 | Texas Consumer Assn | PC | ICF report, "Assessment of ERCOT Market Structural Changes" |
290 | 12/10/2021 | POTOMAC ECONOMICS | COM | IMM Phase II Comments |
178 | 10/15/2021 | POTOMAC ECONOMICS | COM | IMM Proposals |
365 | 4/29/2022 | POTOMAC ECONOMICS | COM | IMM Recommendations |
288 | 12/10/2021 | Dallas, El Paso, Houston, Lewisville, Plano and Travis County | PC | Joint Comments of Dallas, El Paso, Houston, Lewisville, Plano and Travis County on Docket No. 52373 |
161 | 9/30/2021 | Solar Associations | COM | JOINT COMMENTS OF TEXAS SOLAR POWER ASSOCIATION AND SOLAR ENERGY INDUSTRIES ASSOCIATION |
352 | 3/18/2022 | HUNT ENERGY NETWORK L.L.C. | LTRS | JOINT PETITIONERS’ RESPONSE TO MEDINA ELECTRIC COOPERATIVE’S LETTER REGARDING THE REQUEST FOR PROJECT INITIATION RELATED TO BATTERY ENERGY STORAGE SYSTEMS AT DISTRIBUTION VOLTAGE |
311 | 12/10/2021 | Joint Retail Electric Providers | 0000 | Joint Retail Electric Providers' Comments |
296 | 12/10/2021 | SOLAR ENERGY INDUSTRIES ASSOCIATION AND TEXAS SOLAR POWER ASSOCIATION | COM | Joint SEIA and TSPA Comments on Second Strawman Blueprint |
229 | 11/1/2021 | SOLAR ENERGY INDUSTRIES ASSOCIATION AND TEXAS SOLAR POWER ASSOCIATION | COM | Joint SEIA and TSPA Responses to PUC Questions |
327 | 12/13/2021 | Joint stakeholders | PRJ | Joint Stakeholders Reliability & Market Design Procedural Recommendations |
239 | 11/1/2021 | Jupiter Power LLC | COM | Jupiter Power LLC's Comments on October 25th Commission Questions |
309 | 12/10/2021 | Jupiter Power LLC | COM | Jupiter Power LLC's Comments Regarding Phase II Market Design in Commission Staff's December 6th Memo |
66 | 8/17/2021 | Jupiter Power LLC | PRJ | JUPITER POWER LLC’S RESPONSE TO STAFF’S DISCUSSION DRAFT AND QUESTIONS FOR COMMENT |
156 | 9/30/2021 | Just Energy and AP Gas & Electric | COM | Just Energy and AP Gas & Electric Response to Request for Comment |
198 | 11/1/2021 | Lancium | COM | Lancium Comments on Oct 26th Questions |
20 | 8/16/2021 | LOWER COLORADO RIVER AUTHORITY | PRJ | LCRA's Response to Questions for Comment |
358 | 3/28/2022 | ALLIANCE FOR RETAIL MARKETS | LTRS | Letter from Alliance for Retail Markets to PUC Chairman and Commissioners |
355 | 3/23/2022 | Senators Schwertner & Nichols | COM | Letter from Senators Schwertner and Nichols |
399 | 3/6/2023 | ERCOT | MISC | Letter in Response to Commissioner McAdams Memo |
405 | 6/14/2023 | PUC OPDM | PRJ | LETTER REQUEST TO VOID ITEM 404 |
351 | 3/14/2022 | MEDINA ELECTRIC COOPERATIVE, INC. | LTRS | Letter to Commission |
261 | 12/1/2021 | Tom 'Smitty" Smith | COM | Letter to Commissioners from Tom "Smitty" Smith after the adoption of the Railroad Commission Rule on critical loads |
73 | 8/24/2021 | American Clean Power Association | LTRS | Letter to Commissioners in response to project 52373 and current market design work. |
325 | 12/13/2021 | TEXAS ASSOCIATION OF MANUFACTURERS | LTRS | LETTER TO GOVERNOR ABBOTT, PUC CHAIRMAN AND COMMISSIONERS REGARDING LSE PROPOSAL |
331 | 12/30/2021 | GJ Dixon | LTRS | Letter to identify additional ERCOT grid reliability issue for Chairman Lake's consideration and attention. |
346 | 3/7/2022 | Thomas L. Darte, Retired GM Greenville Electric Utility System and Former ERCOT Board Member | MISC | Letter to PUCT on Generation Adequacy in ERCOT |
361 | 3/31/2022 | CHAIRMAN LAKE | LTRS | Letter to Senators Schwertner and Nichols |
387 | 1/10/2023 | GOVERNOR GREG ABBOTT | PRJ | LETTER TO THE COMMISSIONERS |
388 | 1/13/2023 | SENATOR CHARLES SCHWERTNER | PRJ | LETTER TO THE COMMISSIONERS |
390 | 1/19/2023 | SENATOR CHARLES SCHWERTNER | PRJ | LETTER TO THE COMMISSIONERS |
189 | 11/1/2021 | CITY OF LUBBOCK THROUGH LUBBOCK POWER AND LIGHT | COM | LP&L's Response to Questions Regarding Review of wholesale Electric Market Design. |
278 | 12/10/2021 | CITY OF LUBBOCK THROUGH LUBBOCK POWER AND LIGHT | COM | LUBBOCK POWER & LIGHT’S RESPONSE TO PHASE II MARKET DESIGN CONCEPTS AND PRINCIPLES FILED BY THE COMMISSION ON DECEMBER 6, 2021 |
145 | 9/30/2021 | Environmental Defense Fund/Texas Consumer Assoc./Alison Silverstein | COM | Market Design comments |
31 | 8/16/2021 | Alison Silverstein | COM | Market Design Comments, Proj No 52373 |
333 | 1/10/2022 | ERCOT | MISC | MARKET DESIGN LETTER |
148 | 9/30/2021 | LOWER COLORADO RIVER AUTHORITY | PRJ | Market Design Proposal |
139 | 9/30/2021 | HUNT ENERGY NETWORK L.L.C. | COM | Market Design Recommendations in Response to Commissioner Guidance 3 filed on September 20, 2021 |
168 | 9/30/2021 | South Central Partnership for Energy Efficiency as a Resource | COM | Market redesign comments |
395 | 1/24/2023 | Paul W. Sibal | PC | Meeting Peak Power Demand |
186 | 10/29/2021 | PUC MARKET ANALYSIS | MISC | Memo - Work Session 11-04-21 and 2021 Key Dates |
268 | 12/6/2021 | PUC MARKET ANALYSIS | MISC | Memo - Regarding Written Comment for Phase II Market Design |
183 | 10/26/2021 | PUC MARKET ANALYSIS | MISC | Memo - Request for Comments |
129 | 9/14/2021 | PUC Deputy Executive Director | MISC | Memo - September 16, 2021 Work Session Agenda |
132 | 9/20/2021 | PUC Deputy Executive Director | MISC | Memo - Work Session for October 14, 2021 |
2 | 8/3/2021 | PUC EXECUTIVE DIRECTOR | MISC | Memo from Connie Corona - Questions for Comment |
378 | 8/16/2022 | PUC RULES & PROJECTS | PRJ | Memo re: Sierra Club's Petition for Rulemaking |
78 | 9/2/2021 | PUC Deputy Executive Director | MISC | Memo Regarding Questions for Comment |
337 | 1/26/2022 | PUC OPDM | PL | MEMORANDA BY COMMISSIONERS MCADAMS AND COBOS |
360 | 3/30/2022 | COMMISSIONER GLOTFELTY | PL | MEMORANDUM |
364 | 4/20/2022 | COMMISSIONER COBOS | PL | MEMORANDUM |
86 | 9/9/2021 | Mitsubishi Electric Trane HVAC | COM | Mitsubishi Electric Trane HVAC comments related to demand response |
61 | 8/16/2021 | NEXTERA ENERGY RESOURCES, LLC | COM | NextEra Energy Resources, LLC Comments to Commissioner's Questions |
366 | 4/29/2022 | PUC RULES & PROJECTS | PRJ | Notice of distributed energy resource project |
109 | 9/9/2021 | NRG Energy, Inc. | COM | NRG Energy, Inc.'s Comments on the Commission's September 2, 2021 Questions for Comment |
219 | 11/1/2021 | NRG Energy, Inc. | COM | NRG Energy, Inc.'s Comments on the October 26, 2021 Questions For Comment |
38 | 8/16/2021 | NRG ENERGY INC | ADMN | NRG Energy, Inc.’s Comments on the Commission’s August 2, 2021 Questions for Comment |
44 | 8/16/2021 | Steering Committee of Cities Served by Oncor (OCSC) and Texas Coalition for Affordable Power (TCAP) | COM | OCSC and TCAP's Joint Comments Regarding Review of Wholesale Electric Market Design |
96 | 9/9/2021 | Steering Committee of Cities Served by Oncor (OCSC) | COM | OCSC Comments on Market Design Guidance (with Executive Summary) |
196 | 11/1/2021 | THE STEERING COMMITTEE OF CITIES SERVED BY ONCOR (CITIES) | COM | OCSC's Comments on Commission Staff's Memorandum Regarding Review of Wholesale Electric Market Design |
175 | 10/14/2021 | PUC MARKET ANALYSIS | MISC | OCTOBER 14, 2021 WORK SESSION - SPEAKER SLIDES 1 AND 2 |
65 | 8/16/2021 | Octopus Energy | COM | Octopus Energy Comments |
117 | 9/9/2021 | Octopus Energy | COM | Octopus Energy Comments Regarding Demand Response |
233 | 11/1/2021 | Octopus Energy | COM | Octopus Energy Responses to PUC Questions |
385 | 12/14/2022 | OhmConnect Energy | COM | OhmConnect Energy Comments |
95 | 9/9/2021 | ONCOR ELECTRIC DELIVERY COMPANY LLC | PL | ONCOR ELECTRIC DELIVERY COMPANY LLC'S RESPONSE TO QUESTIONS REGARDING RESIDENTIAL DEMAND RESPONSE/RELIABILITY |
295 | 12/10/2021 | OPUC | PRJ | OPUC's Comments on Phase II Market Design Concepts and Principles |
176 | 10/14/2021 | OPUC | PRJ | OPUC's Notice of Intent to Participate in Project No. 52373 |
223 | 11/1/2021 | OPUC | PRJ | OPUC’S RESPONSE TO COMMISSION STAFF’S REQUEST FOR WRITTEN COMMENTS TO SPECIFIC QUESTIONS ON REVIEW OF WHOLESALE ELECTRIC MARKET DESIGN |
4 | 8/11/2021 | Richard E. Wakeland, P.E. | COM | ORDC Design |
391 | 1/20/2023 | PUC OPDM | PL | ORDER AND MODIFIED MEMORANDUM |
245 | 11/4/2021 | PUC OPDM | PL | ORDER GRANTING EXCEPTION |
46 | 8/16/2021 | Orsted Onshore North America LLC's | COM | Orsted Onshore North America LLC's Response to the Request for Comments |
150 | 9/30/2021 | Orsted Onshore North America LLC | COM | Orsted Onshore North America LLC's Wholesale Electric Market Design Recommendations |
303 | 12/10/2021 | ORSTED ONSHORE NORTH AMERICA, LLC | COM | Orsted Onshore North America LLC’s Wholesale Electric Phase II Market Design Recommendations |
393 | 1/23/2023 | Carol Mulligan | CONF | Our Texas Electric Grid needs to be connected to the Eastern and Western Electric Grids as a backup to be used during emergencies |
349 | 3/11/2022 | HUNT ENERGY NETWORK L.L.C. | LTRS | Petition Clarification - Request for Project Initiation Related to Battery Energy Storage Systems at Dist. Voltage |
377 | 8/10/2022 | Sierra Club | PRJ | Petition of Lone Star Chapter of the Sierra Club to Initiate Rulemaking to Amend PUC Subst. 25.181 (Energy Efficiency Goal) and 25.182 (Energy Efficiency Cost Recovery Factor) |
310 | 12/10/2021 | EXELON GENERATION COMPANY LLC | COM | PLEASE SEE ITEM #315 |
236 | 11/1/2021 | POTOMAC ECONOMICS | COM | Potomac Economics' Market Redesign Comments |
131 | 9/16/2021 | Sierra Club | ADMN | Power Point Presentation for September 16th Workshop |
149 | 9/30/2021 | American Society of Civil Engineers Texas Section | COM | Preliminary findings and recommendations on the reliability and resilience failures exposed by Winter Storm Uri, related to market design, for consideration by The Commission. |
13 | 8/16/2021 | Lancium LLC | PRJ | Project No. 52313 - Review of Wholesale Electric Market Design |
350 | 3/11/2022 | SOUTH TEXAS ELECTRIC COOPERATIVE, INC | PL | Project No. 52373 - Reliability Service Proposal of South Texas Electric Cooperative, Inc. |
122 | 9/9/2021 | EnergyHub Inc. | COM | Project No. 52373 – Responses to Questions Regarding Residential Demand Response |
266 | 12/2/2021 | WattBridge Energy | COM | Providing comments on Brattle Presentation at Nov 19 PUC Working Mtg |
330 | 12/22/2021 | PUC OPDM | PL | Public Comment Portion of Open Meeting |
120 | 9/9/2021 | Public Interest Groups | COM | Public interest group comments on residential demand response |
271 | 12/10/2021 | R Street Institute | COM | R Street Response to PUC Request for Comment |
215 | 11/1/2021 | RAYBURN COUNTRY ELECTRIC COOPERATIVE, INC. | COM | Rayburn Country Electric Cooperative, Inc.'s Comments on the Commission's October 25, 2021 Questions |
143 | 9/30/2021 | RAYBURN COUNTRY ELECTRIC COOPERATIVE, INC. | MISC | Rayburn's Comments in Response to the Commission's September 20, 2021 Memorandum |
289 | 12/10/2021 | RAYBURN COUNTRY ELECTRIC COOPERATIVE, INC. | COM | Rayburn's Comments on Market Design Proposal |
64 | 8/16/2021 | Renewable Energy Buyers Alliance | COM | REBA urges a balanced approach to reforming the ERCOT marketplace and consider the dynamic effects that market changes could have on the Texas investment ecosystem and Texas’s business reputation. |
230 | 11/1/2021 | Renewable Energy Buyers Alliance | COM | REBA's comments on Projects 52373 Market Design docket, encouraging the Commission to more concretely identify the reliability challenges that the proposed solutions are intended to address before adopting any technology-neutral solution. |
32 | 8/16/2021 | RAYBURN COUNTRY ELECTRIC COOPERATIVE, INC. | COM | REC's Comments on the Commission's August 2, 2021 Questions |
332 | 1/5/2022 | Texas Advanced Energy Business Alliance | COM | RECOMMENDATIONS OF TEXAS ADVANCED ENERGY BUSINESS ALLIANCE TO REMOVE BARRIERS TO VIRTUAL POWER PLANTS AND DISTRIBUTED ENERGY RESOURCES IN ERCOT |
154 | 9/30/2021 | Recurrent Energy | COM | Recurrent Energy comments to the commission on the topic of review of the wholesale market design. Incenting longer duration battery storage as a reliability solution in times of grid instability due to extreme weather. |
81 | 9/8/2021 | Recurve Analytics, Inc | COM | Recurve Analytics, Inc. response to Project No. 52373. |
376 | 8/9/2022 | Eric B | PC | Regulated Markets in Texas should NOT have lower prices than Deregulated Markets But they do currently ONCOR at 10 cents a KWH Houston area 15 cents to 31 cents a KWH This is WRONG |
341 | 2/23/2022 | Texas Consumer Association and Alison Silverstein | RFI | Reliability Cost Petition |
368 | 5/10/2022 | Marsden Jacob Associates | COM | Report on Australia Market Design |
370 | 5/11/2022 | Advanced Power Alliance | COM | Request For Commission and Public Review of Methodologies and Assumptions Used in the Recently Assigned Contract for Phase II Market Design Analysis |
345 | 3/3/2022 | HUNT ENERGY NETWORK L.L.C. | PL | REQUEST FOR PROJECT INITIATION RELATED TO BATTERY ENERGY STORAGE SYSTEMS AT DISTRIBUTION VOLTAGE |
63 | 8/16/2021 | L. Lynne Kiesling | COM | RESPONSE OF L. LYNNE KIESLING TO COMMISSION STAFF’S REQUEST FOR COMMENT ON WHOLESALE MARKET DESIGN |
242 | 11/2/2021 | Texas Public Policy Foundation | COM | Response to 10-26-21 Staff Questions for Comment |
199 | 11/1/2021 | HUNT ENERGY NETWORK L.L.C. | COM | Response to Commission Staff's October 25, 2021 Request for Comments |
19 | 8/16/2021 | HUNT ENERGY NETWORK, L.L.C. | COM | Response to Commission Staff's Request for Comment on Market Design Questions |
100 | 9/9/2021 | HUNT ENERGY NETWORK L.L.C. | COM | Response to Commission Staff's Request for Comment on September 2, 2021 Questions Concerning Demand Response |
318 | 12/10/2021 | HUNT ENERGY NETWORK L.L.C. | COM | Response to Commission Staff's Request for Comments on Phase II Market Design Concepts and Principles |
77 | 8/31/2021 | LOWER COLORADO RIVER AUTHORITY | PRJ | Response to Commissioners Questions at the August 26, 2021 work session |
92 | 9/9/2021 | CPower | COM | Response to Commissions August 2, 2021 request for comments. |
222 | 11/1/2021 | LOWER COLORADO RIVER AUTHORITY | PRJ | Response to Questions for Comment |
322 | 12/10/2021 | Advanced Energy Management Alliance | COM | Response to Questions on Phase II of Market Design |
110 | 9/9/2021 | Texas-New Mexico Power Company | COM | Response to Staff's Request for Comment |
54 | 8/16/2021 | Regulatory Assistance Project | COM | Response to the PUCT Questions for Comment request posted August 2nd on the Review of Wholesale Market Design, Project no. 52373. |
140 | 9/30/2021 | Regulatory Assistance Project | PC | Response to the request for Recommendations on ERCOT wholesale market design due by 30 September. |
231 | 11/1/2021 | Joint REPs | COM | Responses to PUC Questions |
279 | 12/10/2021 | SIERRA CLUB | COM | Resubmitting our 5-page comments on Blueprint without petitions to make it easier to find. |
130 | 9/16/2021 | PUC Market Analysis | MISC | Review of Wholesale Electric Market Design |
256 | 11/22/2021 | Alison Silverstein Consulting | COM | Revised 1) Reliability analysis and 2) energy efficiency for reliability |
71 | 8/20/2021 | Texas Electric Transporation Resources Alliance | COM | Revisions to previous comments to straighten out erratic endnotes and add some transitional language to smooth our transitions from one paragraph to the next. |
42 | 8/16/2021 | Savion, LLC | COM | Savion Response to Project No. 52373 |
237 | 11/1/2021 | SB Energy | ADMN | SB Energy, a wholly owned subsidiary of SoftBank Group Corp., is a leading utility-scale solar, energy storage, and technology platform. We develop, construct, and own and operate some of the largest and most technically advanced renewable projects across |
33 | 8/16/2021 | SOLAR ENERGY INDUSTRIES ASSOCIATION | COM | SEIA Responses to Commission Questions |
79 | 9/2/2021 | SHARYLAND UTILITIES, L.L.C. | COM | Sharyland Utilities, L.L.C.'s Comments Regarding DC Ties |
80 | 9/3/2021 | SHARYLAND UTILITIES, L.L.C. | COM | Sharyland Utilities, L.L.C.'s Comments Regarding DC Ties with Attachment |
37 | 8/16/2021 | SHELL ENERGY NORTH AMERICA, (US), L.P. | MISC | Shell Energy North America (US) L.P.'s Response to Public Notice of Request for Comments |
227 | 11/1/2021 | SHELL ENERGY NORTH AMERICA, (US), L.P. | MISC | Shell Energy North America (US) LP's Response to Public Notice of Request for Comments |
304 | 12/10/2021 | SHELL ENERGY NORTH AMERICA, (US), L.P. | MISC | Shell Energy North America (US) LP's Response to Public Notice of Request for Comments |
164 | 9/30/2021 | SHELL ENERGY NORTH AMERICA, (US), L.P. | MISC | Shell Energy North America (US) LP's Response to Public Notice of Request for Comments - Executive Summary |
335 | 1/12/2022 | Sierra Club | COM | Sierra Club Corrected Comments on Need to Open Up a Robust Rulemaking on Utility Energy Efficiency and Load Management Programs |
14 | 8/16/2021 | SOUTH TEXAS ELECTRIC COOPERATIVE, INC | COM | South Texas Electric Cooperative, Inc.'s Comments in Project No. 52373 |
284 | 12/10/2021 | SOUTH TEXAS ELECTRIC COOPERATIVE, INC | COM | South Texas Electric Cooperative, Inc.'s Comments on Phase II Market Design Proposals |
142 | 9/30/2021 | SOUTH TEXAS ELECTRIC COOPERATIVE, INC. | COM | South Texas Electric Cooperative, Inc.'s Market Redesign Comments |
383 | 11/10/2022 | PUC MARKET ANALYSIS | MISC | Staff memo for new project number |
200 | 11/1/2021 | SOUTH TEXAS ELECTRIC COOPERATIVE, INC. | COM | STEC’S COMMENTS ON THE COMMISSION’S WHOLESALE MARKET DESIGN POLICY QUESTIONS |
373 | 6/15/2022 | TESLA INC. | PC | Submission of joint parties: David Energy, Shell Energy North America (US), Sunnova Energy Corporation, and Tesla, Inc. |
179 | 10/19/2021 | ACEEE | COM | Summary Slides on ACEEE White Paper (Energy Efficiency and Demand Response: Tools to Address Texas's Reliability Challenges) |
170 | 9/30/2021 | CALPINE CORPORATION | MISC | Supplement to Calpine Corporation's ERCOT Market Design Comments |
375 | 6/17/2022 | TESLA INC. | PC | Supplemental Comments of Tesla, Inc. in response to discussions at PUC Texas Open Meeting, June 16, 2022. |
177 | 10/14/2021 | Energy and Environmental Economics, Inc. (E3) | MISC | Supplemental Information for October 14, 2021 Work Session |
48 | 8/16/2021 | Texas Advanced Energy Business Alliance | COM | TAEBA Comments Regarding Market Design Reform |
356 | 3/23/2022 | Texas Advanced Energy Business Alliance | ADMN | TAEBA Letter in Support of Joint Request Filed by Hunt Energy Network, Broad Reach Power, and Jupiter Power |
193 | 11/1/2021 | TEXAS ADVANCED ENERGY BUSINESS ALLIANCE (TAEBA) | COM | TAEBA's RESPONSE TO COMMISSION STAFF'S OCTOBER 26, 2021 QUESTIONS |
113 | 9/9/2021 | Texas Consumer Association | COM | TCA Comments on Demand Response |
112 | 9/9/2021 | Texas Consumer Association | COM | TCA Executive Summary for DR Comments |
258 | 11/30/2021 | TEXAS COMPETITIVE POWER ADVOCATES | COM | TCPA COMMENTS ON CONCEPTS DISCUSSED AT NOVEMBER 19, 2021 WORK SESSION |
291 | 12/10/2021 | TCPA | COM | TCPA Comments Staff Memo Dated 12-6-21 on Market Design Principles |
97 | 9/9/2021 | TCPA | COM | TCPA Executive Summary & Comments on Demand Response |
357 | 3/25/2022 | TCPA | LTRS | TCPA Letter to Commission Regarding Phase II Market Design |
36 | 8/16/2021 | TCPA | COM | TCPA Market Design Comments |
147 | 9/30/2021 | TCPA | COM | TCPA Recommendations for Reliability in ERCOT through Competitive Markets |
218 | 11/1/2021 | TCPA | COM | TCPA Response to Commission Questions 11-1-21 |
116 | 9/9/2021 | TEXAS ENERGY ASSOCIATION FOR MARKETERS | COM | TEAM'S Response to Staff's Questions for Comment |
125 | 9/9/2021 | Tesla, Inc. | PC | Tesla Inc. Responses to Questions Regarding Residential Demand Response in Project 52373. |
27 | 8/16/2021 | Tesla, Inc. | COM | Tesla, Inc. provides these comments in response to the Texas Public Utility Commission’s Memorandum on market design in Project No. 52373. |
158 | 9/30/2021 | Texas Advanced Energy Business Alliance | COM | TEXAS ADVANCED ENERGY BUSINESS ALLIANCE’S MARKET DESIGN RECOMMENDATIONS |
56 | 8/16/2021 | Texas Consumer Association | COM | Texas Consumer Association comments on 52373 |
15 | 8/16/2021 | TEXAS ENERGY ASSOCIATION FOR MARKETERS | COM | Texas Energy Association for Marketers' Response to the Public Utility Commission's Questions for Comment |
41 | 8/16/2021 | TIEC | COM | TEXAS INDUSTRIAL ENERGY CONSUMERS’ COMMENTS ON COMMISSION QUESTIONS |
301 | 12/10/2021 | TIEC | COM | TEXAS INDUSTRIAL ENERGY CONSUMERS COMMENTS ON SECOND MARKET DESIGN STRAWMAN |
214 | 11/1/2021 | TIEC | COM | TEXAS INDUSTRIAL ENERGY CONSUMERS’ COMMENTS |
101 | 9/9/2021 | TIEC | COM | TEXAS INDUSTRIAL ENERGY CONSUMERS’ COMMENTS ON COMMISSION DEMAND RESPONSE QUESTIONS |
68 | 8/17/2021 | TIEC | COM | TEXAS INDUSTRIAL ENERGY CONSUMERS’ EXECUTIVE SUMMARY TO ITS COMMENTS ON COMMISSION QUESTIONS |
152 | 9/30/2021 | TIEC | COM | TEXAS INDUSTRIAL ENERGY CONSUMERS’ MARKET DESIGN PROPOSAL |
39 | 8/16/2021 | Texas Solar Power Association | COM | Texas Solar Power Association Comments |
166 | 9/30/2021 | TexGen Power, LLC | COM | TexGen Power's Proposal for Market Reform |
53 | 8/16/2021 | TexGen Power, LLC | COM | TexGen Power, LLC response to Commission Questions |
138 | 9/30/2021 | Advanced Power Alliance | COM | The Advanced Power Alliance and the American Clean Power Association Comments Regarding Wholesale Market Design Proposals |
384 | 12/14/2022 | The Coalition for Dispatchable Reliability Reserve Service | COM | The Coalition for Dispatchable Reliability Reserve Service's Comments |
259 | 11/30/2021 | Tom "Smitty" Smith | PC | The Texas PUC is considering incentivizing more natural gas plants to solve the winter storm crisis but natural gas plants have not been reliable nor affordable in severe weather |
29 | 8/16/2021 | Ormat | COM | These are Ormat Technologies INC comments into the REVIEW OF WHOLESALE ELECTRIC MARKET DESIGN - PUBLIC UTILITY COMMISSION OF TEXAS |
286 | 12/10/2021 | Texas Public Power Association | COM | TPPA's Comments on Phase II Market Design Principles |
371 | 5/25/2022 | Texas Public Power Association | COM | TPPA's Comments on Selection of Phase II Market Design Consultant |
188 | 11/1/2021 | Texas Public Power Association | COM | TPPA's Response to Staff's Questions for Comment |
119 | 9/9/2021 | Texas Solar Power Association | COM | TSPA comments |
74 | 8/24/2021 | Texas Oil & Gas Association | COM | TXOGA Comments in response to Commission Questions |
141 | 9/30/2021 | Valero Refining-Texas, L.P.; Diamond Shamrock Refining Company, L.P. | COM | Valero Refining-Texas, L.P. and Diamond Shamrock Refining Company, L.P. Comments on Market Redesign |
162 | 9/30/2021 | VISTRA CORP. | COM | Vistra Corp. Comments on Market Design Proposal |
308 | 12/10/2021 | VISTRA CORP. | COM | Vistra Corp. Comments on Phase II Market Design Concepts and Principles Memo |
55 | 8/16/2021 | VISTRA CORP. | COM | Vistra Corp.'s Comments on Commission Staffs August 2, 2021 Request for Comments |
226 | 11/1/2021 | VISTRA CORP. | COM | Vistra Corp.'s Comments on Market Design Questions |
108 | 9/9/2021 | VISTRA CORP. | MISC | Vistra Corp.'s Executive Summary & Comments |
404 | 6/14/2023 | PUC OPDM | PRJ | VOID SEE ITEM 405 |
254 | 11/18/2021 | Alison Silverstein Consulting | PRJ | VOID. See item 256 in dkt. 52373 |
30 | 8/16/2021 | EDF Trading North America, LLC | COM | VOID. SEE ITEM 58. Comments of EDF Trading North America, LLC in Project 52373 - Review of Wholesale Electric Market Design |
281 | 12/10/2021 | WattBridge Energy | COM | WattBridge Comments on PUC Staff's Dec 6, 2021, Market Design Memo |
247 | 11/10/2021 | WattBridge | COM | WattBridge comments on REVIEW OF WHOLESALE ELECTRIC MARKET DESIGN |
202 | 11/1/2021 | WATTBRIDGE | COM | WattBridge comments on REVIEW OF WHOLESALE ELECTRIC MARKET DESIGN |
251 | 11/18/2021 | WattBridge Energy | COM | WattBridge response to Comm McAdams memo on Dispatchable Energy Credits - Review of Wholesale Electric Market Design |
76 | 8/26/2021 | PUC Deputy Executive Director | MISC | Work Session slides for August 26, 2021 |
282 | 12/10/2021 | U.S. Partnership for Renewable Energy Finance | COM | Written comments as requested in December 6, 2021 memo entitled, "Project No. 52373, Review of Wholesale Electric Market Design" |
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