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Showing result(s) 1 - 33 of 33
 Docket #Document TitleFolderUploaded ByDescriptionPosted Date
GO20010033- 2021_05_02_01_NJ Gas Capacity COMMENTSBPU Staff2021_05_02_01_NJ GAS CAPACITY05/03/2021
GO20010033- 2021-05-13 - PSEG COMMENTS - GAS CAPACITY PROCEEDING COMMENTSBPU Staff2021-05-13 - PSEG COMMENTS - GAS CAPACITY PROCEEDING05/14/2021
GO20010033- 2022-02-08 - Gas Capacity LEI Report - PSEG Comments COMMENTSBPU Staff2022-02-08 - Gas Capacity LEI Report - PSEG Comments02/08/2022
GO20010033- 6-29-22-9A ORDERSBPU Staff6-29-22-9A07/01/2022
GO20010033- CEA Docket No G02001033 COMMENTSBPU StaffCEA Docket No G0200103302/08/2022
GO20010033- Comments of Sabin Center, EDF, NJCF on LEI Study 2-8-2022 COMMENTSBPU StaffComments of Sabin Center, EDF, NJCF on LEI Study 2-8-202202/08/2022
GO20010033- Cover Letter NJ Gas Capacity Comments COMMENTSBPU StaffCOVER LETTER NJ GAS CAPACITY COMMENTS02/08/2022
GO20010033- DANDELION ENERGY COMMENTS_BPU DOCKET NO. GO20010033_2.8.22_FINAL COMMENTSBPU StaffDANDELION ENERGY COMMENTS_BPU DOCKET NO. GO20010033_2.8.22_FINAL02/15/2022
GO20010033- EDF AND NJCF COMMENTS; BPU DOCKET NOS. GO20010033 AND GO19070846 COMMENTSBPU StaffEDF AND NJCF COMMENTS; BPU DOCKET NOS. GO20010033 AND GO1907084605/13/2021
GO20010033- GAS CAPACITY PLANNING WRITTEN COMMENTS SJG ETG (051321) COMMENTSBPU StaffGAS CAPACITY PLANNING WRITTEN COMMENTS SJG ETG (051321)06/09/2021
GO20010033- GO20010033 - AIDA CAMACHO-WELCH (BPU) SUBMITTED A NOTICE OF STAKEHOLDER MEETING FOR 4.29.21 AT 10 A.M. VIRTUAL FORMAT VIA ZOOM NOTICESBPU StaffGO20010033 - AIDA CAMACHO-WELCH (BPU) SUBMITTED A NOTICE OF STAKEHOLDER MEETING FOR 4.29.21 AT 10 A.M. VIRTUAL FORMAT VIA ZOOM04/21/2021
GO20010033- GO20010033 - AIDA CAMACHO-WELCH (BPU) SUBMITTED A PUBLIC NOTICE OF AN UPCOMING STAKEHOLDER MEETING FOR 1.25.22 AT 1 P.M. (VIRTUAL SESSION) NOTICESBPU StaffGO20010033 - AIDA CAMACHO-WELCH (BPU) SUBMITTED A PUBLIC NOTICE OF AN UPCOMING STAKEHOLDER MEETING FOR 1.25.22 AT 1 P.M. (VIRTUAL SESSION)01/11/2022
GO20010033- GO20010033 BLOCPOWER NEW JERSEY COMMENTS_FINAL COMMENTSBPU StaffGO20010033 BLOCPOWER NEW JERSEY COMMENTS_FINAL02/09/2022
GO20010033- GO20010033 GOOGLE NEST COMMENTS LEI GAS CAPACITY REPORT COMMENTSBPU StaffGO20010033 GOOGLE NEST COMMENTS LEI GAS CAPACITY REPORT02/09/2022
GO20010033- GO20010033 LMCT COMMENTS COMMENTSBPU StaffGO20010033 LMCT COMMENTS02/15/2022
GO20010033- GO20010033 MARATHON - NJ GAS CAPACITY LETTER FINAL 2.7.22 CORRESPONDENCEBPU StaffGO20010033 MARATHON - NJ GAS CAPACITY LETTER FINAL 2.7.2202/07/2022
GO20010033- GO20010033 NJNG GAS CAPACITY WRITTEN COMMENTS COMMENTSBPU StaffGO20010033 NJNG GAS CAPACITY WRITTEN COMMENTS02/09/2022
GO20010033- GO20010033 RATE COUNSEL COMMENTS IN RESPONSE TO JANUARY 6, 2022 STAKEHOLDER MEETING NOTICE - COMMENTSBPU StaffGO20010033 RATE COUNSEL COMMENTS IN RESPONSE TO JANUARY 6, 2022 STAKEHOLDER MEETING NOTICE -02/08/2022
GO20010033- GO20010033 COMMENTS NJUA COMMENTSBPU StaffGO20010033 COMMENTS NJUA02/08/2022
GO20010033- GO20010033- GAS CAPACITY LEI REPORT - PSEG COMMENTS COMMENTSBPU StaffGO20010033- GAS CAPACITY LEI REPORT - PSEG COMMENTS02/09/2022
GO20010033- GO20010033 GO19070846 COMMENTS OF SABIN CENTER, EDF, NJCF ON LEI STUDY COMMENTSBPU StaffGO20010033 GO19070846 COMMENTS OF SABIN CENTER, EDF, NJCF ON LEI STUDY02/08/2022
GO20010033- Google Nest Comments LEI Gas Capacity Report_2.8.22 COMMENTSBPU StaffGoogle Nest Comments LEI Gas Capacity Report_2.8.2202/08/2022
GO20010033- Google_Comments on Gas Capacity Investigation_5.13.21 COMMENTSBPU StaffGOOGLE_COMMENTS ON GAS CAPACITY INVESTIGATION_5.13.2105/13/2021
GO20010033- GOOGLE_COMMENTS ON GAS CAPACITY INVESTIGATION_5.13.21 COMMENTSBPU StaffGOOGLE_COMMENTS ON GAS CAPACITY INVESTIGATION_5.13.2105/14/2021
GO20010033- IEPNJ Comments for LEI Natural Gas Capacity Report COMMENTSBPU StaffIEPNJ Comments for LEI Natural Gas Capacity Report02/08/2022
GO20010033- NJDRC COMMENTS; NATURAL GAS COMMODITY AND DELIVERY CAPACITIES; BPU DKT NO. GO20010033 COMMENTSBPU StaffNJDRC COMMENTS; NATURAL GAS COMMODITY AND DELIVERY CAPACITIES; BPU DKT NO. GO2001003305/14/2021
GO20010033- NJNG BGSS GAS CAPACITY COMMENTS TO BPU 5.13.2021 COMMENTSBPU StaffNJNG BGSS GAS CAPACITY COMMENTS TO BPU 5.13.202105/13/2021
GO20010033- NOTICE GAS CAPACITY STAKEHOLDER MEETING NOTICESBPU StaffNOTICE GAS CAPACITY STAKEHOLDER MEETING01/06/2022
GO20010033- NRG COMMENTS - NJ NATURAL GAS FUTURE SUPPLY AND DEMAND FINAL COMMENTSBPU StaffNRG COMMENTS - NJ NATURAL GAS FUTURE SUPPLY AND DEMAND FINAL05/14/2021
GO20010033- NRG NJ Gas Capacity Report Comments 020722 Final COMMENTSBPU StaffNRG NJ GAS CAPACITY REPORT COMMENTS 020722 FINAL02/08/2022
GO20010033- PPA LETTER TO BPU RE CAPACITY 5.13.21 COMMENTSBPU StaffPPA LETTER TO BPU RE CAPACITY 5.13.2105/14/2021
GO20010033- Rate Counsel Comments in Response to January 6, 2022 Stakeholder Meeting Notice - BPU Dkt. No. GO20010033 COMMENTSBPU StaffRate Counsel Comments in Response to January 6, 2022 Stakeholder Meeting Notice - BPU Dkt. No. GO2001003302/08/2022
GO20010033- SKIPPING_STONE_ANALYSIS_OF_SRL_PIPELINE_JULY_2017_FINAL COMMENTSBPU StaffSKIPPING_STONE_ANALYSIS_OF_SRL_PIPELINE_JULY_2017_FINAL05/14/2021
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Showing result(s) 1 - 7 of 7
Posted ByPosted DateCommentsAttachments(s)
Greg Tyson2/8/2022 3:49:01 PMComments of Behalf of the Independent Energy Producers of New Jersey IN THE MATTER OF NATURAL GAS COMMODITY AND DELIVERY CAPACITIES IN THE STATE OF NEW JERSEY – INVESTIGATION OF THE CURRENT AND MID-TERM FUTURE SUPPLY AND DEMAND Docket No. GO20010033 The Independent Energy Producers of New Jersey (IEPNJ) appreciate this opportunity to provide comments to the New Jersey Board of Public Utilities (BPU) on the London Economics International, LLC (LEI) Final Report: Analysis of Natural Gas Capacity to Serve New Jersey Firm Customers (LEI Report). IEPNJ is a trade association that represents New Jersey’s wholesale electric power generators. Members of IEPNJ are active participants in the region’s wholesale power market and have a continuing interest in assuring adequate and reliable supplies of electricity to fuel the region’s growth in an environmentally and economically sound manner. The efficient use of natural gas for energy, such as combined cycle electric generation and cogeneration, continues to be a reliable, economic, and environmentally acceptable fuel source – one that is needed to support New Jersey’s transition to a fully clean energy future. IEPNJ has long supported state policies that contribute to continued energy reliability for the State. Since 1992, IEPNJ has worked productively with stakeholders, including the BPU, the New Jersey Department of Environmental Protection (DEP), and state legislature to develop responsible environmental and economically sound energy policies. Comments IEPNJ respectfully submits these comments in relation to the LEI Report, which analyzes New Jersey’s natural gas supply infrastructure and its adequacy to reliably serve New Jersey’s firm supply customers through 2030. The LEI Report concludes that, under a variety of modeling scenarios, there is a high probability that New Jersey has sufficient infrastructure for the state’s natural gas distribution companies (GDCs) to reliably serve their respective winter design day peak demand through the end of this decade. However, based on our review, IEPNJ requests that the BPU review the LEI Report (and conduct further analysis as needed) in the context of assuring that there will be adequate natural gas capacity and supplies to serve not only firm residential and commercial natural gas load, but to assure that there is adequate supply and capacity to serve New Jersey Electric Generation Units (EGUs). The assumptions in the analysis of the LEI Report should be reviewed to assure that they are capturing the full peak winter demand for natural gas. If it is materially understated (i.e., does not fully recognize the importance of natural gas supply for EGUs), the LEI Report and the BPU could incorrectly conclude that there will be adequate natural gas service through 2030. The analysis assumes that electric power generators are largely on interruptible supply tariffs and their demand is not included in this “firm customer” reliability assessment. Further, the LEI Report notes that it does not have an accurate account of third-party supply firm natural gas capacity. New Jersey electric generators (EGUs) are served under a variety of natural gas contracts, both firm and interruptible, from local gas distribution companies as well as third-party suppliers. This review should be considered in the context of two key issues related to electric generation supply and its nexus to natural gas supply. First, EGUs providing capacity must operate in PJM under PJM’s Capacity Performance paradigm which requires strong performance from EGUs to meet electric peak demands. Without adequate gas supplies, this reliability cannot be assured. Second, considering the State’s EMP electrification goals to transition from natural gas to electric heat, New Jersey’s electric generators will play an increasingly critical role in serving residential and commercial heating loads. It is imperative that the BPU consider natural gas demand from EGUs more explicitly in its determination in this matter. This will allow for a more comprehensive assessment of New Jersey’s natural gas delivery infrastructure to assure adequate supply. Thank you for the opportunity to share these comments. IEPNJ Comments for LEI Natural Gas Capacity Report
Michael Butler2/8/2022 3:40:17 PMPlease find attached comments submitted by Mike Butler, Mid-Atlantic Executive Director for the Consumer Energy Alliance. CEA Docket No G02001033
Ralph Cicchetti2/8/2022 3:39:49 PMComments of Google,LLC in response to LEI gas capacity report.Google Nest Comments LEI Gas Capacity Report_2.8.22
Matthew Weissman2/8/2022 3:07:11 PMPSE&G's comments on London Economic International, LLC's Final Report2022-02-08 - Gas Capacity LEI Report - PSEG Comments
Jennifer Danis2/8/2022 1:25:32 PMComments of Sabin Center for Climate Change Law, EDF, NJCF on LEI Gas Capacity StudyComments of Sabin Center, EDF, NJCF on LEI Study 2-8-2022
Karen Forbes2/8/2022 11:02:34 AMRate Counsel Comments in Response to January 6, 2022 Stakeholder Meeting NoticeRate Counsel Comments in Response to January 6, 2022 Stakeholder Meeting Notice - BPU Dkt. No. GO20010033
Robert Wilds2/7/2022 11:05:20 AMThere is a need for this project to provide clean burning natural gas to position New Jersey to a net zero energy future. Natural gas is a valuable resource to accelerate New Jersey's transformation to net zero by being used in conjunction with the alternative energy to get New Jersey there much faster and efficiently. Natural gas is a valuable resource in this transformation and needs to be utilized to reduce the cost to rate payers during the transformation to net zero energy future. Natural gas will reduce the high cost burden on the homeowner to convert to net zero energy. Natural needs to used together with alternative energy resources to accomplish our goal of net zero energy if with we want to reach our goal as in an expedient manner and keep the economy growing at the same time. Thank You Robert Wilds  

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