Climate planning is key for New York’s gas infrastructure
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36% OffThere is no dedication to plan for significant decreases in gas streams in the years to come, to transition commercial and domestic clients off of gas (and into clean electricity) where appropriate, or to adjust the intended life of gas infrastructure that customers will be paying for in the years to come.Successful long-term preparation will prevent gas energies from relying on outdated presumptions– such as anticipating continuous development in gas demand– that could lock in facilities investments and prevent New York from satisfying its environment goals. As parties engage in lengthy settlement negotiations in rate cases, the quality of settlement proposals might be greatly improved if the commission provided clear assistance on what is needed to demonstrate alignment with the greenhouse gas emission reduction and equity objectives of the CLCPA.EDFs Gas Company Climate Planning Tool, established by MJ Bradley & & Associates, is an effective example of a framework that can allow regulators, gas utilities and the public to understand and assess the lifecycle greenhouse gas emissions of gas utilities.It is time for the commission to stop making choices in the dark and shine a light on gas utilities. The commission must move forward with requiring long-term gas utility planning and develop clear requirements for rate case proposals to show consistency with New Yorks greenhouse gas emission limitation and to avoid disproportionate health and ecological concerns on communities.
There is no dedication to plan for significant reductions in gas flows in the years to come, to shift property and industrial clients off of gas (and into tidy electrical energy) where appropriate, or to adjust the designated life of gas facilities that consumers will be paying for in the years to come.Successful long-term preparation will prevent gas energies from relying on outdated presumptions– such as anticipating continuous growth in gas need– that might lock in infrastructure investments and impede New York from fulfilling its climate goals. As celebrations engage in prolonged settlement negotiations in rate cases, the quality of settlement proposals might be considerably enhanced if the commission offered clear assistance on what is needed to show positioning with the greenhouse gas emission decrease and equity goals of the CLCPA.EDFs Gas Company Climate Planning Tool, established by MJ Bradley & & Associates, is an effective example of a framework that can make it possible for regulators, gas energies and the public to comprehend and evaluate the lifecycle greenhouse gas emissions of gas utilities.It is time for the commission to stop making choices in the dark and shine a light on gas utilities. The commission should move forward with needing long-lasting gas utility planning and develop clear standards for rate case proposals to show consistency with New Yorks greenhouse gas emission limitation and to avoid out of proportion health and environmental burdens on neighborhoods.