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 Docket #Document TitleFolderUploaded ByDescriptionPosted Date
QO22030153- (90211677 - 1) - TRANSMITTAL FOR SE COMMENTS TO ESIP RULE 07052023 COMMENTSBPU Staff(90211677 - 1) - TRANSMITTAL FOR SE COMMENTS TO ESIP RULE 0705202307/05/2023
QO22030153- (90211677 - 1) - TRANSMITTAL FOR SE COMMENTS TO ESIP RULE 07052023 COMMENTSBPU Staff(90211677 - 1) - TRANSMITTAL FOR SE COMMENTS TO ESIP RULE 0705202302/21/2024
QO22030153- (NJ Community Solar Comment Letter- QO22030153) - From Independence Solar - (05-15-23) COMMENTSBPU Staff(NJ Community Solar Comment Letter- QO22030153) - From Independence Solar - (05-15-23)05/15/2023
QO22030153- (NJ COMMUNITY SOLAR COMMENT LETTER- QO22030153) - FROM INDEPENDENCE SOLAR - (05-15-23) COMMENTSBPU Staff(NJ COMMUNITY SOLAR COMMENT LETTER- QO22030153) - FROM INDEPENDENCE SOLAR - (05-15-23)05/16/2023
QO22030153- 174 Power Global Community Solar Program Comments 050622 COMMENTSBPU Staff174 Power Global Community Solar Program Comments 05062205/06/2022
QO22030153- 2022-05-06 - Community Solar Permanent Program - PSEG Comments COMMENTSBPU Staff2022-05-06 - Community Solar Permanent Program - PSEG Comments05/06/2022
QO22030153- 2023 05 15 - Community Solar Program Straw Proposal Comments COMMENTSBPU Staff2023 05 15 - Community Solar Program Straw Proposal Comments05/15/2023
QO22030153- 2023.05.18 LTR. TO STATE CORRESPONDENCEBPU Staff2023.05.18 LTR. TO STATE05/18/2023
QO22030153- 2023_CommentsOnCommunitySolar COMMENTSBPU Staff2023_CommentsOnCommunitySolar11/15/2023
QO22030153- 2023-05-15 - PSEG Comments - Community Solar Stakeholder Notice COMMENTSBPU Staff2023-05-15 - PSEG Comments - Community Solar Stakeholder Notice05/15/2023
QO22030153- 20230515163115185 COMMENTSBPU Staff2023051516311518505/15/2023
QO22030153- 22-0506 BlueWave Public Comment - Docket QO22030153 COMMENTSBPU Staff22-0506 BlueWave Public Comment - Docket QO22030153 05/06/2022
QO22030153- 4-30-24-8D ORDERSBPU Staff4-30-24-8D04/30/2024
QO22030153- 5.15 DOCKET NO. QO22030153 BLUEWAVE PUBLIC COMMENT COMMENTSBPU Staff5.15 DOCKET NO. QO22030153 BLUEWAVE PUBLIC COMMENT05/16/2023
QO22030153- 5.15.23 Community Solar Permanent Program New Jersey LCV Comments COMMENTSBPU Staff5.15.23 Community Solar Permanent Program New Jersey LCV Comments05/15/2023
QO22030153- 5.15.23 Modern Renewables aka Bromley Community Solar, LLC Proposed Rule Comments (executed) COMMENTSBPU Staff5.15.23 Modern Renewables aka Bromley Community Solar, LLC Proposed Rule Comments (executed)05/15/2023
QO22030153- 5.15.23 MODERN RENEWABLES AKA BROMLEY COMMUNITY SOLAR, LLC PROPOSED RULE COMMENTS (EXECUTED) COMMENTSBPU Staff5.15.23 MODERN RENEWABLES AKA BROMLEY COMMUNITY SOLAR, LLC PROPOSED RULE COMMENTS (EXECUTED)05/16/2023
QO22030153- 8-16-23-8F REVISED ORDERSBPU Staff8-16-23-8F REVISED10/11/2023
QO22030153- AC Power - Community Solar Straw Comments_05.15.23 COMMENTSBPU StaffAC Power - Community Solar Straw Comments_05.15.2305/15/2023
QO22030153- ACE - Community Solar Bill Credit Calc - QO22030153 - 1-5-2024 REPORTSBPU StaffACE - COMMUNITY SOLAR BILL CREDIT CALC - QO22030153 - 1-5-202401/05/2024
QO22030153- ACE - COMMUNITY SOLAR BILL CREDIT CALC - QO22030153 - 1-5-2024 CORRESPONDENCEBPU StaffACE - COMMUNITY SOLAR BILL CREDIT CALC - QO22030153 - 1-5-202401/05/2024
QO22030153- ACE - COMMUNITY SOLAR BILL CREDIT CALC - QO22030153 - 1-5-2024 CORRESPONDENCEBPU StaffACE - COMMUNITY SOLAR BILL CREDIT CALC - QO22030153 - 1-5-202401/05/2024
QO22030153- ACE - Community Solar Bill Credit Calc - QO22030153 - 2-15-2024 REPORTSBPU StaffACE - COMMUNITY SOLAR BILL CREDIT CALC - QO22030153 - 2-15-202402/15/2024
QO22030153- ACE - COMMUNITY SOLAR BILL CREDIT CALC - QO22030153 - 2-15-2024 REPORTSBPU StaffACE - COMMUNITY SOLAR BILL CREDIT CALC - QO22030153 - 2-15-202402/16/2024
QO22030153- ACE - Community Solar Bill Credit Calc - QO22030153 - 4-29-2024 REPORTSBPU StaffACE - COMMUNITY SOLAR BILL CREDIT CALC - QO22030153 - 4-29-202404/29/2024
QO22030153- ACE - Community Solar Bill Credit Calc - QO22030153 - 9-21-2023 REPORTSBPU StaffACE - COMMUNITY SOLAR BILL CREDIT CALC - QO22030153 - 9-21-202309/21/2023
QO22030153- ACE - Community Solar Comments - QO22030153 - 5-6-2022 COMMENTSBPU StaffACE - Community Solar Comments - QO22030153 - 5-6-202205/06/2022
QO22030153- ACE - Straw Proposal Comments for Community Solar Energy Program - QO22030153 - 5-15-2023 COMMENTSBPU StaffACE - Straw Proposal Comments for Community Solar Energy Program - QO22030153 - 5-15-202305/15/2023
QO22030153- ACUA Comments - Permanent Community Solar Energy Program Design COMMENTSBPU StaffACUA Comments - Permanent Community Solar Energy Program Design05/06/2022
QO22030153- Ampion Comments on NJ Successor Community Solar Program - 5.6.22 COMMENTSBPU StaffAmpion Comments on NJ Successor Community Solar Program - 5.6.2205/06/2022
QO22030153- Ampion NJ CSEP Straw Proposal Comments - 5-15-23 COMMENTSBPU StaffAmpion NJ CSEP Straw Proposal Comments - 5-15-2305/15/2023
QO22030153- AMPION NJ CSEP STRAW PROPOSAL COMMENTS - 5-15-23 COMMENTSBPU StaffAMPION NJ CSEP STRAW PROPOSAL COMMENTS - 5-15-2305/16/2023
QO22030153- Arcadia comments on community solar permanent program_May 6 2022 COMMENTSBPU StaffArcadia comments on community solar permanent program_May 6 202205/06/2022
QO22030153- Arcadia recommendations for community solar straw proposal_May 15, 2023 COMMENTSBPU StaffArcadia recommendations for community solar straw proposal_May 15, 202305/15/2023
QO22030153- Attachment 1 - ACE Community Solar Bill Credit Calc 9-1-2023 REPORTSBPU StaffATTACHMENT 1 - ACE COMMUNITY SOLAR BILL CREDIT CALC 9-1-202309/21/2023
QO22030153- BPU Letter COMMENTSBPU StaffBPU Letter05/15/2023
QO22030153- BPU_ANJEC CommunitySolar Letter 5.15.23 COMMENTSBPU StaffBPU_ANJEC CommunitySolar Letter 5.15.2305/15/2023
QO22030153- CCSA-SEIA Comments on Staff Straw Proposal_5-15-2023_CLEAN COMMENTSBPU StaffCCSA-SEIA Comments on Staff Straw Proposal_5-15-2023_CLEAN05/15/2023
QO22030153- CCSA-SEIA REDLINES on Straw Proposal Draft Rules_5-15-2023 COMMENTSBPU StaffCCSA-SEIA REDLINES on Straw Proposal Draft Rules_5-15-202305/15/2023
QO22030153- CEP RENEWABLES COMMUNITY_SOLAR_COMMENTS_5-15-23 COMMENTSBPU StaffCEP RENEWABLES COMMUNITY_SOLAR_COMMENTS_5-15-2305/15/2023
QO22030153- Comments of PowerMarket on NJ permanent Community Solar program COMMENTSBPU StaffComments of PowerMarket on NJ permanent Community Solar program05/06/2022
QO22030153- Comments to CSEP straw COMMENTSBPU StaffComments to CSEP straw05/12/2023
QO22030153- Community Solar Coalition Letter 6May22 COMMENTSBPU StaffCommunity Solar Coalition Letter 6May2205/06/2022
QO22030153- Community Solar Energy Comments to the BPU - 05-15-23 COMMENTSBPU StaffCommunity Solar Energy Comments to the BPU - 05-15-2305/15/2023
QO22030153- Community Solar Energy Program - PowerMarket Comments COMMENTSBPU StaffCommunity Solar Energy Program - PowerMarket Comments05/15/2023
QO22030153- COMMUNITY SOLAR STRAW PROPOSAL - DOCKET QO22030153 - NJ SOLAR POWER COMMENTS COMMENTSBPU StaffCOMMUNITY SOLAR STRAW PROPOSAL - DOCKET QO22030153 - NJ SOLAR POWER COMMENTS05/16/2023
QO22030153- Community_Solar_Comments_5-15-23 COMMENTSBPU StaffCommunity_Solar_Comments_5-15-2305/15/2023
QO22030153- Cover Letter NJ Community Solar CORRESPONDENCEBPU StaffCOVER LETTER NJ COMMUNITY SOLAR05/06/2022
QO22030153- Cover Letter NJ Community Solar Comments CORRESPONDENCEBPU StaffCOVER LETTER NJ COMMUNITY SOLAR COMMENTS05/15/2023
QO22030153- CSE CS Permanent Program Comments COMMENTSBPU StaffCSE CS Permanent Program Comments05/06/2022
QO22030153- CSEP Final 5.15.23 w attach COMMENTSBPU StaffCSEP Final 5.15.23 w attach05/15/2023
QO22030153- CSEP FINAL 5.15.23 W ATTACH COMMENTSBPU StaffCSEP FINAL 5.15.23 W ATTACH05/16/2023
QO22030153- DOCKET NO. QO22030153 PUBLIC COMMENTS - ASSOCIATED ENERGY DEVELOPERS, LLC COMMENTSBPU StaffDOCKET NO. QO22030153 PUBLIC COMMENTS - ASSOCIATED ENERGY DEVELOPERS, LLC05/16/2023
QO22030153- DOCKET NO. QO22030153 RECO COMMUNITY SOLAR BILL CREDIT RATE CALCULATIONS_EFF OCTOBER 1_2023 REPORTSBPU StaffDOCKET NO. QO22030153 RECO COMMUNITY SOLAR BILL CREDIT RATE CALCULATIONS_EFF OCTOBER 1_202309/19/2023
QO22030153- Docket No. QO22030153_PowerFlex Written Comments to NJ BPU Regarding Community Solar Energy Program COMMENTSBPU StaffDocket No. QO22030153_PowerFlex Written Comments to NJ BPU Regarding Community Solar Energy Program05/06/2022
QO22030153- Docket No. QO22030153_PowerFlex Written Comments to NJ BPU Regarding Community Solar Energy Program_5.15.23 COMMENTSBPU StaffDocket No. QO22030153_PowerFlex Written Comments to NJ BPU Regarding Community Solar Energy Program_5.15.2305/15/2023
QO22030153- DRE CSEP Comments_05152023 COMMENTSBPU StaffDRE CSEP Comments_0515202305/15/2023
QO22030153- DRE Response to Permanent Program RFI_05062022 COMMENTSBPU StaffDRE Response to Permanent Program RFI_0506202205/06/2022
QO22030153- DSD Comments NJ Community Solar Permanent Straw Proposal 5 15 23 COMMENTSBPU StaffDSD Comments NJ Community Solar Permanent Straw Proposal 5 15 2305/15/2023
QO22030153- DSD Comments NJ Community Solar Permanent Straw Proposal 5 15 23 COMMENTSBPU StaffDSD Comments NJ Community Solar Permanent Straw Proposal 5 15 2305/15/2023
QO22030153- Ecogy Energy_NJBPU_ PermanentCommunitySolarEnergyProgram_Comments COMMENTSBPU StaffEcogy Energy_NJBPU_ PermanentCommunitySolarEnergyProgram_Comments05/06/2022
QO22030153- EcogyEnergy_NJBPU_CSEP_Comments_5-15-23 COMMENTSBPU StaffEcogyEnergy_NJBPU_CSEP_Comments_5-15-2305/15/2023
QO22030153- Edison Job Corps Letter COMMENTSBPU StaffEdison Job Corps Letter05/15/2023
QO22030153- FINAL BPU LETTER 5-15-23 CORRESPONDENCEBPU StaffFINAL BPU LETTER 5-15-2305/16/2023
QO22030153- Final Submission - Consolidated Billing COMMENTSBPU StaffFinal Submission - Consolidated Billing05/06/2022
QO22030153- G&S Solar - Comments on NJ Community Solar Staff Straw Proposal COMMENTSBPU StaffG&S Solar - Comments on NJ Community Solar Staff Straw Proposal05/15/2023
QO22030153- G&S Solar - Final Comments to BPU on NJ CDG COMMENTSBPU StaffG&S Solar - Final Comments to BPU on NJ CDG05/06/2022
QO22030153- Gabel Associates CSEP Comments Docket No QO22030153 May 15 2023 COMMENTSBPU StaffGabel Associates CSEP Comments Docket No QO22030153 May 15 202305/15/2023
QO22030153- Gabel Associates’ Comments Docket No. QO22030153 COMMENTSBPU StaffGabel Associates’ Comments Docket No. QO2203015305/06/2022
QO22030153- GSPP CSEP straw proposal comments COMMENTSBPU StaffGSPP CSEP straw proposal comments05/15/2023
QO22030153- Highland Park Comments on Docket No. QO22030153_FINAL COMMENTSBPU StaffHighland Park Comments on Docket No. QO22030153_FINAL05/05/2022
QO22030153- Hoboken Comments on Community Solar Docket No. QO22030153_final COMMENTSBPU StaffHoboken Comments on Community Solar Docket No. QO22030153_final05/06/2022
QO22030153- Isles Community Solar comments 5.15.23 COMMENTSBPU StaffIsles Community Solar comments 5.15.2305/15/2023
QO22030153- JCP&L Comments on Staff Straw Proposal for permanent CSEP - FILED 5.15.22 COMMENTSBPU StaffJCP&L Comments on Staff Straw Proposal for permanent CSEP - FILED 5.15.2205/15/2023
QO22030153- JCPL COMMUNITY SOLAR BILL CREDIT CALCULATIONS DEC 2023 CORRESPONDENCEBPU StaffJCPL COMMUNITY SOLAR BILL CREDIT CALCULATIONS DEC 202301/02/2024
QO22030153- JRF - Ltr. to BPU Straw Proposal 5.12.2023 COMMENTSBPU StaffJRF - Ltr. to BPU Straw Proposal 5.12.202305/15/2023
QO22030153- Mayor Freda Princeton Comments Docket QO22030153 Community Solar COMMENTSBPU StaffMayor Freda Princeton Comments Docket QO22030153 Community Solar 05/06/2022
QO22030153- MHA - BPU response COMMENTSBPU StaffMHA - BPU response05/15/2023
QO22030153- MSSIA COMMENTS - DOCKET NO. QO22030153 PERMANENT COMMUNITY SOLAR PROGRAM - LKR 5-6-22 COMMENTSBPU StaffMSSIA COMMENTS - DOCKET NO. QO22030153 PERMANENT COMMUNITY SOLAR PROGRAM - LKR 5-6-2205/18/2022
QO22030153- MSSIA COMMENTS RE. DOCKET NO. QO22030153 COMMUNITY SOLAR ENERGY PROGRAM LKR 5-15-23 COMMENTSBPU StaffMSSIA COMMENTS RE. DOCKET NO. QO22030153 COMMUNITY SOLAR ENERGY PROGRAM LKR 5-15-2305/16/2023
QO22030153- New Jersey Solar Energy Coalition CS Comments COMMENTSBPU StaffNew Jersey Solar Energy Coalition CS Comments05/08/2023
QO22030153- NEW JERSEY SOLAR ENERGY COALITION CS COMMENTS COMMENTSBPU StaffNEW JERSEY SOLAR ENERGY COALITION CS COMMENTS05/08/2023
QO22030153- NEW JERSEY STRAW PROPOSAL - 2023-05-15 KSI RESPONSE COMMENTSBPU StaffNEW JERSEY STRAW PROPOSAL - 2023-05-15 KSI RESPONSE05/16/2023
QO22030153- NJ BPU Straw Proposal Comments Letter COMMENTSBPU StaffNJ BPU Straw Proposal Comments Letter05/15/2023
QO22030153- NJ Community Solar Stakeholder Comments Altus 5.12.23 COMMENTSBPU StaffNJ Community Solar Stakeholder Comments Altus 5.12.2305/12/2023
QO22030153- NJ Community Solar Stakeholder Comments Altus 5.6.22 COMMENTSBPU StaffNJ Community Solar Stakeholder Comments Altus 5.6.2205/06/2022
QO22030153- NJ_Community Solar_CP COMMENTSBPU StaffNJ_Community Solar_CP05/11/2023
QO22030153- NJBPU Community Solar Comments COMMENTSBPU StaffNJBPU Community Solar Comments05/15/2023
QO22030153- NJBPU Community Solar Program Comments 5-15-23 COMMENTSBPU StaffNJBPU Community Solar Program Comments 5-15-2305/15/2023
QO22030153- NJBPU ENJ COMMUNITY SOLAR PERMANENT PROGRAM COMMENTS 5.15.23 COMMENTSBPU StaffQO22030153 - NJBPU ENJ COMMUNITY SOLAR PERMANENT PROGRAM COMMENTS 5.15.2305/16/2023
QO22030153- NJDRC Comments - IMO The Community Solar Energy Program BPU Dkt. No. QO22030153 COMMENTSBPU StaffNJDRC Comments - IMO The Community Solar Energy Program BPU Dkt. No. QO2203015305/15/2023
QO22030153- NJDRC COMMENTS - IMO THE COMMUNITY SOLAR ENERGY PROGRAM BPU DKT. NO. QO22030153 COMMENTSBPU StaffNJDRC COMMENTS - IMO THE COMMUNITY SOLAR ENERGY PROGRAM BPU DKT. NO. QO2203015305/16/2023
QO22030153- NJDRC Comments IMO Community Solar Energy Program BPU Dkt. No. QO22030153 COMMENTSBPU StaffNJDRC Comments IMO Community Solar Energy Program BPU Dkt. No. QO2203015305/06/2022
QO22030153- NJPEEC Public Comments for BPU Community Solar straw proposal May 2023 COMMENTSBPU StaffNJPEEC Public Comments for BPU Community Solar straw proposal May 202305/15/2023
QO22030153- NJRCEV COMMENTS - PERMANENT COMMUNITY SOLAR STRAW PROPOSAL - BPU DOCKET NUMBER QO22030153 COMMENTSBPU StaffNJRCEV COMMENTS - PERMANENT COMMUNITY SOLAR STRAW PROPOSAL - BPU DOCKET NUMBER QO2203015305/17/2023
QO22030153- NJSBC BPU comment May 15, 2023 COMMENTSBPU StaffNJSBC BPU COMMENT MAY 15, 202305/15/2023
QO22030153- NOTICE COMMUNITY SOLAR STRAW PROPOSAL WITH DRAFT RULES NOTICESBPU StaffNOTICE COMMUNITY SOLAR STRAW PROPOSAL WITH DRAFT RULES03/30/2023
QO22030153- NRDC Comments Community Solar Program COMMENTSBPU StaffNRDC Comments Community Solar Program05/15/2023
QO22030153- NRG Comments on Community Solar Energy Program 050522 FINAL COMMENTSBPU StaffNRG COMMENTS ON COMMUNITY SOLAR ENERGY PROGRAM 050522 FINAL05/06/2022
QO22030153- NRG Comments on Community Solar Energy Program 051523 COMMENTSBPU StaffNRG COMMENTS ON COMMUNITY SOLAR ENERGY PROGRAM 05152305/15/2023
QO22030153- Perch Energy - New Jersey Community Solar Straw Proposal Comments COMMENTSBPU StaffPerch Energy - New Jersey Community Solar Straw Proposal Comments05/15/2023
QO22030153- Project_Live_CS_Comment COMMENTSBPU StaffProject_Live_CS_Comment05/15/2023
QO22030153- QO22030153 MCTS LETTERHEAD_SOLARLANSCAPE PARTNERSHIP COMMENTSBPU StaffQO22030153 MCTS LETTERHEAD_SOLARLANSCAPE PARTNERSHIP05/11/2022
QO22030153- QO22030153 MCTS LETTERHEAD_SOLARLANSCAPE PARTNERSHIP COMMENTSBPU StaffQO22030153 MCTS LETTERHEAD_SOLARLANSCAPE PARTNERSHIP05/18/2022
QO22030153- QO22030153 - 2023-9-22 - COMMUNITY SOLAR COVER LETTER - COMPLIANCE FILING CORRESPONDENCEBPU StaffQO22030153 - 2023-9-22 - COMMUNITY SOLAR COVER LETTER - COMPLIANCE FILING09/26/2023
QO22030153- QO22030153 ARCADIA - PROPOSED NJ COMMUNITY SOLAR RULE AMENDMENTS_JUNE 29, 2022 COMMENTSBPU StaffQO22030153 ARCADIA - PROPOSED NJ COMMUNITY SOLAR RULE AMENDMENTS_JUNE 29, 202206/29/2022
QO22030153- QO22030153 - CARMEN DIAZ (BPU) SUBMITTED A PUBLIC NOTICE OF A REQUEST FOR COMMENTS IN REGARDS TO THE COMMUNITY SOLAR ENERGY PROGRAM NOTICESBPU StaffQO22030153 - CARMEN DIAZ (BPU) SUBMITTED A PUBLIC NOTICE OF A REQUEST FOR COMMENTS IN REGARDS TO THE COMMUNITY SOLAR ENERGY PROGRAM04/12/2022
QO22030153- QO22030153 CEP RENEWABLES - SCORING CRITERIA COMMENTS COMMENTSBPU StaffQO22030153 CEP RENEWABLES - SCORING CRITERIA COMMENTS02/10/2023
QO22030153- QO22030153 CEP RENEWABLES - SCORING CRITERIA COMMENTS COMMENTSBPU StaffQO22030153 CEP RENEWABLES - SCORING CRITERIA COMMENTS02/14/2023
QO22030153- QO22030153 - COMMUNITY SOLAR PERMANENT PROGRAM - PSEG COMMENTS COMMENTSBPU StaffQO22030153 - COMMUNITY SOLAR PERMANENT PROGRAM - PSEG COMMENTS05/11/2022
QO22030153- QO22030153 COMMUNITY SOLAR PROGRAM SUPPORT LTR TO BPU COMMENTSBPU StaffQO22030153 COMMUNITY SOLAR PROGRAM SUPPORT LTR TO BPU04/28/2022
QO22030153- QO22030153 - COMMUNITY SOLAR STRAW PROPOSAL COMMENT COMMENTSBPU StaffQO22030153 - COMMUNITY SOLAR STRAW PROPOSAL COMMENT05/16/2023
QO22030153- QO22030153 - IE REQUEST FOR COMMENTS-COMMUNITY SOLAR PERMANENT PROGRAM COMMENTSBPU StaffQO22030153 - IE REQUEST FOR COMMENTS-COMMUNITY SOLAR PERMANENT PROGRAM05/09/2022
QO22030153- QO22030153 - JAMES FEINSTEIN (ARCADIA) SUBMITTED CORRESPONDENCE IN REGARDS TO THE COMMUNITY SOLAR ENERGY PROGRAM CORRESPONDENCEBPU StaffQO22030153 - JAMES FEINSTEIN (ARCADIA) SUBMITTED CORRESPONDENCE IN REGARDS TO THE COMMUNITY SOLAR ENERGY PROGRAM06/29/2022
QO22030153- QO22030153 JRF - LOS COMM SOLAR 4.27.2022 COMMENTSBPU StaffQO22030153 JRF - LOS COMM SOLAR 4.27.202205/12/2022
QO22030153- QO22030153 NAACP BPU STATEMENT COMMENTSBPU StaffQO22030153 NAACP BPU STATEMENT04/28/2022
QO22030153- QO22030153 - NEW JERSEY STRAW PROPOSAL - 2023-05-15 KSI RESPONSE COMMENTSBPU StaffQO22030153 - NEW JERSEY STRAW PROPOSAL - 2023-05-15 KSI RESPONSE05/16/2023
QO22030153- QO22030153 NJ RFI CS PERM CCSA COMMENTS COMMENTSBPU StaffQO22030153 NJ RFI CS PERM CCSA COMMENTS05/11/2022
QO22030153- QO22030153 NJRCEV COMMENTS - COMMUNITY SOLAR PERMANENT PROGRAM COMMENTSBPU StaffQO22030153 NJRCEV COMMENTS - COMMUNITY SOLAR PERMANENT PROGRAM05/11/2022
QO22030153- QO22030153 - SEIA-NJSEC COMMENTS - PERMANENT COMMUNITY SOLAR PROGRAM COMMENTSBPU StaffQO22030153 - SEIA-NJSEC COMMENTS - PERMANENT COMMUNITY SOLAR PROGRAM05/09/2022
QO22030153- QO22030153 - SOLOMON DAVID (ACE) SUBMITTED CORRESPONDENCE PETAINING TO THE COMMUNITY SOLAR ENERGY PROGRAM (1 OF 2) CORRESPONDENCEBPU StaffQO22030153 - SOLOMON DAVID (ACE) SUBMITTED CORRESPONDENCE PETAINING TO THE COMMUNITY SOLAR ENERGY PROGRAM (1 OF 2)09/22/2023
QO22030153- QO22030153 - SOLOMON DAVID (ACE) SUBMITTED CORRESPONDENCE PETAINING TO THE COMMUNITY SOLAR ENERGY PROGRAM (2 OF 2) CORRESPONDENCEBPU StaffQO22030153 - SOLOMON DAVID (ACE) SUBMITTED CORRESPONDENCE PETAINING TO THE COMMUNITY SOLAR ENERGY PROGRAM (2 OF 2)09/22/2023
QO22030153- QO22030153 SUNWEALTH POWER COMMENTS - NJ COMMUNITY SOLAR PERMANENT PROGRAM PROPOSAL - MAY 2023 COMMENTSBPU StaffQO22030153 SUNWEALTH POWER COMMENTS - NJ COMMUNITY SOLAR PERMANENT PROGRAM PROPOSAL - MAY 202305/15/2023
QO22030153- QO22030153 SUSTAINABLE SOUTH JERSEY BPU LETTER COMMENTSBPU StaffQO22030153 SUSTAINABLE SOUTH JERSEY BPU LETTER04/28/2022
QO22030153- QO22030153 VOTE SOLAR COALITION_NJBPU COMMUNITY SOLAR COMMENTS COMMENTSBPU StaffQO22030153 VOTE SOLAR COALITION_NJBPU COMMUNITY SOLAR COMMENTS05/11/2022
QO22030153- QO22030153 BPU LOS_ SL LMI COMMENTSBPU StaffQO22030153 BPU LOS_ SL LMI05/11/2022
QO22030153- QO22030153 C. WILKINS_ COMMUNITY SOLAR PROGRAM COMMENTS COMMENTSBPU StaffQO22030153 C. WILKINS_ COMMUNITY SOLAR PROGRAM COMMENTS05/16/2022
QO22030153- QO22030153 COMMENT - TOWNSHIP OF UNION COMMENTSBPU StaffQO22030153 COMMENT - TOWNSHIP OF UNION01/31/2023
QO22030153- QO22030153 COVER LETTER RECO COMMUNITY SOLAR ENERGY PROGRAM COMMENTS COMMENTSBPU StaffQO22030153 COVER LETTER RECO COMMUNITY SOLAR ENERGY PROGRAM COMMENTS05/11/2022
QO22030153- QO22030153 E. SANTAITI COMMENTS COMMUNITY SOLAR PERMANENT PROGRAM REQUEST FOR COMMENTS COMMENTSBPU StaffQO22030153 E. SANTAITI COMMENTS COMMUNITY SOLAR PERMANENT PROGRAM REQUEST FOR COMMENTS04/18/2022
QO22030153- QO22030153 JCPL COMMUNITY SOLAR COMMENTS - 5-6-22 COMMENTSBPU StaffQO22030153 JCPL COMMUNITY SOLAR COMMENTS - 5-6-2205/11/2022
QO22030153- QO22030153 LETTER OF SUPPORT COMMUNITY SOLAR MCVTS COMMENTSBPU StaffQO22030153 LETTER OF SUPPORT COMMUNITY SOLAR MCVTS04/28/2022
QO22030153- QO22030153 Nexamp CS Permanent Program Comments COMMENTSBPU StaffQO22030153 Nexamp CS Permanent Program Comments05/06/2022
QO22030153- RECO Comments on Community Solar Energy Program COMMENTSBPU StaffRECO Comments on Community Solar Energy Program05/15/2023
QO22030153- ROBERT L ERICKSON COMMUNITYSOLARCOMMENTS-5-15-23 COMMENTSBPU StaffROBERT L ERICKSON COMMUNITYSOLARCOMMENTS-5-15-2305/16/2023
QO22030153- SCHNEIDER ELECTRIC ESIP STRAW PROPOSAL COMMENTS - QO20080531 FINAL COMMENTSBPU StaffSCHNEIDER ELECTRIC ESIP STRAW PROPOSAL COMMENTS - QO20080531 FINAL07/05/2023
QO22030153- SCHNEIDER ELECTRIC ESIP STRAW PROPOSAL COMMENTS - QO20080531 FINAL COMMENTSBPU StaffSCHNEIDER ELECTRIC ESIP STRAW PROPOSAL COMMENTS - QO20080531 FINAL02/21/2024
QO22030153- SHA BPU Letter COMMENTSBPU StaffSHA BPU Letter05/15/2023
QO22030153- SJC Community Solar Straw Proposal Comment COMMENTSBPU StaffSJC Community Solar Straw Proposal Comment05/15/2023
QO22030153- Solar Landscape Comments (05.06.2022) - Docket QO22030153 re Permanent Program COMMENTSBPU StaffSolar Landscape Comments (05.06.2022) - Docket QO22030153 re Permanent Program05/06/2022
QO22030153- Solar Landscape Comments (05.15.2023) - Docket QO22030153 (FINAL) COMMENTSBPU StaffSolar Landscape Comments (05.15.2023) - Docket QO22030153 (FINAL)05/15/2023
QO22030153- Soltage_NJCSPermanentProgramLetter COMMENTSBPU StaffSoltage_NJCSPermanentProgramLetter05/06/2022
QO22030153- Sunwealth Power Request for Comments NJ Community Solar Permanent Program COMMENTSBPU StaffSunwealth Power Request for Comments NJ Community Solar Permanent Program05/04/2022
QO22030153- Tatelaux Solar Group Response to Requestf or Comments, Docket No. QO22030153 COMMENTSBPU StaffTatelaux Solar Group Response to Requestf or Comments, Docket No. QO2203015305/06/2022
QO22030153- TATLEAUX SOLAR GROUP COMMENTS ON COMMUNITY SOLAR PROGRAM STRAW PROPOSAL MAY 15_ 2023 COMMENTSBPU StaffTATLEAUX SOLAR GROUP COMMENTS ON COMMUNITY SOLAR PROGRAM STRAW PROPOSAL MAY 15_ 202305/17/2023
QO22030153- TOWNSHIP OF GREEN COMMENTS COMMENTSBPU StaffTOWNSHIP OF GREEN COMMENTS05/23/2023
QO22030153- Verogy Response_Request for Comments on Community Solar Energy Program COMMENTSBPU StaffVerogy Response_Request for Comments on Community Solar Energy Program05/06/2022
QO22030153- Vote Solar Community Solar Straw Proposal Feedback 5.15.2023 COMMENTSBPU StaffVote Solar Community Solar Straw Proposal Feedback 5.15.202305/15/2023
QO22030153- VOTE SOLAR COMMUNITY SOLAR STRAW PROPOSAL FEEDBACK 5.15.2023 COMMENTSBPU StaffVOTE SOLAR COMMUNITY SOLAR STRAW PROPOSAL FEEDBACK 5.15.202305/18/2023
QO22030153- VOTE SOLAR COMMUNITY SOLAR STRAW PROPOSAL FEEDBACK 5.15.2023 COMMENTSBPU StaffVOTE SOLAR COMMUNITY SOLAR STRAW PROPOSAL FEEDBACK 5.15.202305/18/2023
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Charles Loflin11/15/2023 4:27:03 PMComments to BPU on Permanent Community Solar Energy Program Docket Number QO22030153 November 15, 2023 Unitarian Universalist FaithAction NJ is a faith-based group that affirms the worth and dignity of every person and respect for the interdependent web of all existence of which we are a part. For these reasons, we are especially determined to make sure that state policies support good health and quality of life for all people, living beings and natural systems in New Jersey. UU FaithAction has commented on and supported the pilot Community Solar Program, and we have been pleased to see it develop and grow to 29 projects providing 50 MW of capacity, reaching 6000 New Jersey households. We hope to see it grow much more, and more rapidly, in the future. Our primary motivation in supporting it was to ensure access to renters and low-income households that would otherwise not have access to solar energy. To increase participation in community solar projects, we urge the Board to reach out to municipalities and local news outlets to publicize their availability. We support provisions to simplify income verification, including self-attestation, as in the bill A4782 now moving through the Assembly. Finally, please simplify bill-paying by requiring a single bill to a customer. We appreciate the good work of the Board of Public Utilities on this program.2023_CommentsOnCommunitySolar
Gerald T Reiner Jr.5/30/2023 12:08:31 PMThe Authority is generally in favor of the community solar rules as proposed, however we ask that re-consideration be given to the restriction of the location of such sites. We feel that Authorities like the Bergen County Utilities Authority who are located within Environmental Justice Area's should be able to utilize properties which are undevelopable assets within our foot print and solar canopies which extend over settling tanks and other like structures, but which are not traditional roof structures should be eligible for community solar. While most UA's are not located on Brown Field's we meet similar design and construction challenges particularly since we often are in low lying elevations which make constructability of larger assets more difficult if not impossible.  
Pari Kasotia5/15/2023 8:04:51 PMDistributed Solar Development NJ Community Solar CommentsDSD Comments NJ Community Solar Permanent Straw Proposal 5 15 23
Gerard Weir5/15/2023 5:27:42 PMComments from RIC Energy on the NJ BPU Staff Straw Proposal for the CSEPNJ BPU Straw Proposal Comments Letter
Sean Jackson5/15/2023 5:20:53 PMPlease see attached comments concerning Community Solar. Isles Community Solar comments 5.15.23
Murray E. Bevan5/15/2023 5:05:55 PMAmpion comments on BPU Staff’s Community Solar Energy Program Straw Proposal recommendations.Ampion NJ CSEP Straw Proposal Comments - 5-15-23
Woodbine Borough5/15/2023 5:02:49 PMWoodbine Borough, Cape May County. Please see attached letter.BPU Letter
Elowyn Corby5/15/2023 4:56:12 PMPlease see Vote Solar's attached comments. Vote Solar Community Solar Straw Proposal Feedback 5.15.2023
Kyle Burnett5/15/2023 4:56:06 PMVanguard Energy Partners, LLC Community Solar Program Comments  
Kyle Miller5/15/2023 4:55:49 PMSee attached.AC Power - Community Solar Straw Comments_05.15.23
Joseph Henri5/15/2023 4:55:07 PMPlease find Dimension's comments on CSEP proposal attached.DRE CSEP Comments_05152023
CCSA / SEIA Comments and Redlines on Straw Proposal5/15/2023 4:53:31 PMAttached are CCSA's and SEIA's comments and redlines on the Straw ProposalCCSA-SEIA Comments on Staff Straw Proposal_5-15-2023_CLEAN
CCSA-SEIA REDLINES on Straw Proposal Draft Rules_5-15-2023
Keith Peltzman5/15/2023 4:51:08 PMAttached comments form Independence Solar(NJ Community Solar Comment Letter- QO22030153) - From Independence Solar - (05-15-23)
Olivia Ottaviano5/15/2023 4:50:38 PMPlease See Attached CommentsGSPP CSEP straw proposal comments
Jason Kaplan5/15/2023 4:46:04 PMSee attached comments on CSEP Straw Proposal by PowerMarket.Community Solar Energy Program - PowerMarket Comments
Sherri Goldberg5/15/2023 4:43:24 PMPlease see the attached letter from our agency.JRF - Ltr. to BPU Straw Proposal 5.12.2023
Samantha Silvers5/15/2023 4:36:58 PMSee attached.MHA - BPU response
Mark Schottinger5/15/2023 4:35:14 PMPlease see attachedSolar Landscape Comments (05.15.2023) - Docket QO22030153 (FINAL)
Ayanna Dunmore5/15/2023 4:34:31 PMPlease see the attached document for PowerFlex's comments.Docket No. QO22030153_PowerFlex Written Comments to NJ BPU Regarding Community Solar Energy Program_5.15.23
Christpher Marra5/15/2023 4:33:10 PMPlease see my attached letter20230515163115185
Frank Marshall5/15/2023 4:31:05 PMKindly see the attached for comments from the NJ State League of Municipalities. 2023 05 15 - Community Solar Program Straw Proposal Comments
James Austin Meehan5/15/2023 4:28:48 PMJersey Central Power & Light Company's Comments in response to the Staff Straw Proposal for the Permanent Community Solar Energy Program.JCP&L Comments on Staff Straw Proposal for permanent CSEP - FILED 5.15.22
Ashton Stripling5/15/2023 4:24:41 PMPlease see attached.Edison Job Corps Letter
Carl Engelbourg5/15/2023 4:24:26 PMTo: NJ BPU Thank you for a thoughtful proposal for the Community Solar Permanent Program Rules Regarding existing PY1 and PY2 projects. Navisun asks that all rules that are adopted for the permanent program are retroactively applied to the Pilot programs. Specifically, Pilot projects be permitted to subscribe customers anywhere within the EDC service territory where the project is located, and the ability to use the self-attestation method that is proposed. Navisun strongly supports utility consolidated billing and urges that it is implemented as soon as possible. Question 14 - Navisun recommends that if a subscriber has excess credits when they end their subscription that those credits be returned to the host account so that they can be allocated to other subscribers at full value. Asset owners have no control as to when residents may move, or for other reasons close their utility account. Thank you. 
Thomas Storck5/15/2023 4:19:43 PMThe Solar Team at G&S Solar would like to congratulate the Staff of the New Jersey Board of Public Utilities (BPU) on a thoughtful and comprehensive Straw Proposal for the permanent Community Solar Energy Program. We are pleased to see that many of our previous comments were considered and implemented. We have a few comments on the latest Straw Proposal: 1. We agree with the Staff’s recommendation to make the minimum maturity requirements consistent with those of the ADI Program. However, we believe that requiring an executed EDC interconnection study for projects over 1 MW may prevent some of our larger projects from achieving community solar approval. This feedback goes for both the ADI Program and the Community Solar Program. Our suggestion is to change the requirement to evidence of having submitted a Part 1 Interconnection Agreement, regardless of project size. 2. If the BPU ultimately decides to maintain the executed interconnection study requirement for projects over 1 MW, we anticipate that the bottleneck of the community solar approval process will be the interconnection studies and approvals. In that case, the BPU should mandate that the EDCs hire more staff to process interconnection applications and studies. 3. We have at least one potential project that is both on a rooftop and located on a formerly contaminated site. In the event of a tiebreaker process, we ask the BPU to consider incorporating project siting as a factor and to give preference to project that fall into multiple preferred siting categories. 4. We recently submitted an interconnection application for a community solar project to Atlantic City Electric. They told us that community solar approval is required before they can process the application. We think it’s pretty clear that the BPU Staff’s suggestion is the other way around (community approval requires interconnection application/approval), but ACE insisted otherwise. We just want to make sure that once the permanent program rules are finalized, all the EDC project reps are on the same page and clear about the process. If not, this could cause significant delays and create unnecessary barriers to achieving minimum project maturity requirements.G&S Solar - Comments on NJ Community Solar Staff Straw Proposal
Matthew Hersh5/15/2023 4:18:56 PMSince 1989, the Housing and Community Development Network of New Jersey has worked to improve the environment for the work of community development corporations (CDCs), and to strengthen their capacity to create housing and revitalize distressed neighborhoods throughout New Jersey. The Network is a statewide association of over 250 non-profit housing and community development corporations, individuals, professional organizations, and prominent New Jersey corporations that support the creation of housing choices and economic opportunities for low- and moderate-income community residents. The Network and its members share a commitment to promoting economic justice and the empowerment of low-income individuals and communities and encouraging wider participation in the framing and implementation of public policies. We are adding comments per your request regarding the Board of Public Utilities (BPU) Straw Proposal for the permanent community solar program. We commend the BPU for the incredible work in bringing community solar to New Jersey. We know we share a common goal to see all low-income residents in the state benefit from the cost relief associated with community solar. That is why we fully support bill consolidation and the ease it will bring for low-income residents to participate. While we see much that is commendable in the Straw Proposal there are several issues about which we would like to add comment. 1) As a statewide community-based organization, we want community engagement to continue to be a central part of the new legislation. New Jersey’s community solar program has become the envy of other states. There is no part of the Straw Proposal that mandates or properly rewards developers for working withing the communities in which they are building these large solar projects. 2) There is no focus on workforce development and the hiring of residents of underserved communities as part of the workforce that will build these projects. 3) By using only the highest discount as a tie-breaker the Board risks solar developers gaming the system. Our recommendation is the the Board of Public Utilities require every applicant to complete a checklist that provides a place to drop documents offering proof of community engagement, workforce planning and subscriber engagement plans. The BPU cannot allow this critically important element of community solar to be determined by who can create the best narrative. The criteria should be who has engaged in the communities they wish to serve and is completing the most thoughtful, collaborative plan. An application should not be approved until a developer can demonstrate a full plan of community action. There were 400 MWDC of project applications for community solar pilot program Year 2. There is still plenty of appetite for New Jersey community solar and we should be approving the cream of the crop projects. In the rush to get projects approved, the Board must not lose sight that the best projects are the ones that deliver on the promises of the program as stated by Governor Murphy when the Clean Energy Act of 2018 first instructed them into the public consciousness – environmental justice, energy equity, access for all, lower utility costs, and jobs in underserved communities.  
Randi Moore5/15/2023 4:17:33 PMDear New Jersey Board of Public Utilities, The Affordable Housing Alliance was founded in 1991 to provide housing, programs, and other services supporting low-to-moderate-income individuals and families. The AHA maintains a portfolio of affordable rental units in Monmouth County and assists municipalities in developing low-impact rental options for their affordable housing plans. In addition to providing affordable housing solutions the AHA, working together with different Affiliate Agencies in New Jersey, manages several programs that help those seeking relief in paying their utility bills. We were pleased to learn the Board of Public Utilities straw proposal for the permanent program is mandating consolidated billing by the utility companies. In addition to alleviating some of the inherent distrust about the program, it appears consolidated billing will also address the concerns of LIHEAP recipients. Our organization, as a property owner, has partnered with a Community Solar developer, even though they indicated to us that they would do the project at a loss. They had hoped the BPU, as it formulates the community solar initiative, would increase the incentive for master meter solar projects enough to want developers to truly support Community Solar. By not increasing that master meter incentive, it could likely preclude all Low-Moderate income households from benefiting from the program because there won’t be enough developers. We also urge the board to keep the community in community solar by requiring participating solar developers to engage meaningfully in the communities in which they are building projects. We are concerned about the Board’s decision to require little more than a written promise by the solar developers regarding community engagement. We recommend that the Board require solar developers to provide verification in writing of work they have already done, or written agreements with community-based organizations that specifically outline the ways in which they will work to benefit the community. As you enter into the permanent program, we urge the Board to consider these recommendations carefully as we believe they will lead to energy equity and environmental justice as the program was designed to do. Thank you for all of your hard work and commitment to this program and for the opportunity to comment. Sincerely, Randi Moore, AHA CEO 
Aaron I. Karp5/15/2023 4:17:20 PMPublic Service Electric and Gas Company submits the attached comments on the Straw Proposal regarding the permanent Community Solar Energy Program released on March 30, 2023 by the Staff of the Board of Public Utilities. 2023-05-15 - PSEG Comments - Community Solar Stakeholder Notice
Belle Gabel5/15/2023 4:12:30 PMSee attachment "Gabel Associates CSEP Comments Docket No QO22030153 May 15 2023.pdf"Gabel Associates CSEP Comments Docket No QO22030153 May 15 2023
Eric Miller5/15/2023 4:08:49 PMSee AttachedNRDC Comments Community Solar Program
Diane Riley5/15/2023 4:03:00 PMPlease see attached.SHA BPU Letter
margaret carmeli5/15/2023 3:57:22 PMDocket No.: QO22030153 Comments5.15.23 Modern Renewables aka Bromley Community Solar, LLC Proposed Rule Comments (executed)
Brock Gibian5/15/2023 3:19:11 PMPlease accept the attached as Ecogy Energy’s response regarding docket No. QO22030153 IN THE MATTER OF THE COMMUNITY SOLAR ENERGY PROGRAMEcogyEnergy_NJBPU_CSEP_Comments_5-15-23
John Ervin5/15/2023 3:13:46 PMPlease find attached CSEP comments from CS EnergyCSEP Final 5.15.23 w attach
Debra Italiano5/15/2023 3:00:55 PMPlease see attached PDF.SJC Community Solar Straw Proposal Comment
GEORGINA ARREOLA5/15/2023 2:56:56 PMPlease see the attached comments from Perch Energy.Perch Energy - New Jersey Community Solar Straw Proposal Comments
Karen Forbes5/15/2023 2:54:25 PMNJDRC Comments - IMO The Community Solar Energy Program BPU Docket No. QO22030153NJDRC Comments - IMO The Community Solar Energy Program BPU Dkt. No. QO22030153
John L. Carley5/15/2023 2:53:24 PMRockland Electric Company submits these comments in response to the Notice issued by the Board of Public Utilities (“Board”), dated March 30, 2023, in the above-referenced Docket. RECO Comments on Community Solar Energy Program
Solomon David5/15/2023 2:28:02 PMPlease see the attached Comments of Atlantic City Electric Company.ACE - Straw Proposal Comments for Community Solar Energy Program - QO22030153 - 5-15-2023
Michael Winka5/15/2023 2:21:34 PMSee attached pdfNJBPU Community Solar Program Comments 5-15-23
Nicole Miller5/15/2023 2:14:13 PMSee attachedNJPEEC Public Comments for BPU Community Solar straw proposal May 2023
Ted Del Guercio, III, Esq.5/15/2023 2:14:05 PMKindly see the attached/provided comments, provided on behalf of our client, the North Jersey District Water Supply Commission. Thank you. Ted Del Guercio, III, Esq. Community Solar Energy Comments to the BPU - 05-15-23
Gary R. Cicero5/15/2023 2:10:21 PMSee attached comments. Community_Solar_Comments_5-15-23
Sean Mohen5/15/2023 1:37:18 PMQUESTION #6 | DISCOUNT RATE TIEBREAKERS: We fear any developer whos bid includes a discount rate too low will not be able to secure financing and the project may never get built. Instead we feel the BPU should: 1) ensure each bid has a financial clawback or deposit large enough to make it difficult for developers to walk away from a project. Additionally, the tie-breaker should include a point system for community support covering various stakeholders including municipalities, county governments, local nonprofits and community organizations and houses of worship. QUESTION #12 | 75% DIRECT PAYMENTS: The pilot rules for demonstrating LMI eligibility for affordable housing participation was a better model than what is proposed. Question #13 | AFFORDABLE HOUSING BILL CREDIT VALULE: If the bill credit is too low, the Community Solar value proposition for affordable housing providers, system owners, and subscripion firms goes away. Question #21 | OPT-OUT: BPU should limit “opt-out” to either the town where the community solar project is located or an adjacent town within the same EDC. This would ensure a project is not sited in a poorer town for the exclusive benefit of a wealthier one. It will also ensure that the solar developer continues to conduct meaningful community engagement.  
Pari Kasotia5/15/2023 1:19:29 PMDistributed Solar Development LLCDSD Comments NJ Community Solar Permanent Straw Proposal 5 15 23
James Feinstein5/15/2023 12:56:42 PMPlease find attached Arcadia's comments and recommendations on the community solar straw proposal.Arcadia recommendations for community solar straw proposal_May 15, 2023
Jennifer Coffey5/15/2023 12:13:03 PMPlease see attached.BPU_ANJEC CommunitySolar Letter 5.15.23
Larry Stecker5/15/2023 11:35:00 AMThe Woodbridge Housing is very interested in the Community Solar Energy Program in order to positively impact the matter of climate change. The increase in the frequency of 100 year extreme weather events indicates that the health and safety of all residents are at risk. Any activity that can mitigate this risk is advantageous to all residents.  
Ross Croessmann5/15/2023 11:07:00 AMThank you for your efforts in collecting input on this important matter please view our attached comment.Project_Live_CS_Comment
Jerry Donovan5/15/2023 10:06:17 AMPlease see the attached public comments from Coast Energy in regards to the docket # QO22030153. Thanks Jerry DonovanNJBPU Community Solar Comments
Isabel Molina5/15/2023 10:00:33 AMPlease see the attached for New Jersey LCV's comments.5.15.23 Community Solar Permanent Program New Jersey LCV Comments
Vincent Palmieri5/12/2023 5:51:15 PMSustainergy LLC's comments to the straw CSEPComments to CSEP straw
Matthew Marlow5/12/2023 5:17:08 PMAltus Power NJ Community Solar Straw Comments May 2023NJ Community Solar Stakeholder Comments Altus 5.12.23
Sophia Milone5/11/2023 7:42:57 PMI just attended a webinar regarding community solar, and I learned so much about NJ's expanding program to provide clean energy to people that normally are unable to access it, like renters. I think maintaining a threshold so that low-income and moderate-income households are deliberately included is really important. I also believe that not allowing community solar projects to be constructed on open areas is a good thing to prevent the development of public lands. I think it is exciting-- and says a lot-- that NJ is moving to make the Community Solar Pilot a permanent program. Not only does this illuminate the interest people have in solar power, but would make community solar a major player in the energy transition. This Program appears to put households first, incentivizes the expansion of clean energy, and puts energy sovereignty into the hands of consumers. As long as the Program continues to uphold these principles, I will support its endeavors.  
Cela Bernie5/11/2023 9:40:50 AMPlease see attached comments for the Community Solar Program draft rulesNJ_Community Solar_CP
Fred5/8/2023 1:05:03 PMComments of the New Jersey Solar Energy CoalitionNew Jersey Solar Energy Coalition CS Comments
Zac Meyer5/6/2022 4:58:21 PMPlease see attached comments.Soltage_NJCSPermanentProgramLetter
Joseph Cortes5/6/2022 4:56:41 PMPls see attached CommentsTatelaux Solar Group Response to Requestf or Comments, Docket No. QO22030153
Murray E. Bevan5/6/2022 4:55:54 PMOn behalf of our client, Ampion, PBC (“Ampion”), enclosed please find Ampion’s comments on the design of the permanent Community Solar Energy Program filed in response to the BPU’s Stakeholder Notice issued on April 11, 2022.Ampion Comments on NJ Successor Community Solar Program - 5.6.22
PowerFlex5/6/2022 4:50:11 PMSee attached fileDocket No. QO22030153_PowerFlex Written Comments to NJ BPU Regarding Community Solar Energy Program
Daniel Murphy5/6/2022 4:45:17 PMPlease see attached comments.174 Power Global Community Solar Program Comments 050622
Matthew Tripoli5/6/2022 4:39:49 PMSee attachedCSE CS Permanent Program Comments
Mayor Mark Freda5/6/2022 4:25:42 PMSee attached letterMayor Freda Princeton Comments Docket QO22030153 Community Solar
Mark Schottinger5/6/2022 4:15:56 PMSolar Landscape Comments (05.06.2022) - Docket QO22030153 re Permanent ProgramSolar Landscape Comments (05.06.2022) - Docket QO22030153 re Permanent Program
David Katz5/6/2022 4:02:53 PMSee attached for commentsG&S Solar - Final Comments to BPU on NJ CDG
Richard Dovey5/6/2022 3:55:05 PMPlease see attachment for comments. Thank you.ACUA Comments - Permanent Community Solar Energy Program Design
Joseph Moss5/6/2022 3:48:30 PMPlease see Verogy's comments attached. Thank you for the opportunity to comment on the NJ Community Solar Permanent Program.Verogy Response_Request for Comments on Community Solar Energy Program
BRUCE MORGAN5/6/2022 3:39:25 PMThis is in support of Community Support of Solar Design ProgramFinal Submission - Consolidated Billing
Matthew Weissman5/6/2022 3:21:41 PMPSE&G's comments in connection with the design of the permanent Community Solar Energy Program2022-05-06 - Community Solar Permanent Program - PSEG Comments
Belle Gabel5/6/2022 3:17:19 PMSee attached.Gabel Associates’ Comments Docket No. QO22030153
James Feinstein5/6/2022 3:17:13 PMArcadia comments on the design of the community solar permanent program.Arcadia comments on community solar permanent program_May 6 2022
Brad Tito5/6/2022 3:03:45 PMPowerMarket comments concerning the design of the permanent Community Solar Energy Program. Comments of PowerMarket on NJ permanent Community Solar program
Karen Forbes5/6/2022 3:03:24 PMIMO Community Solar Energy ProgramNJDRC Comments IMO Community Solar Energy Program BPU Dkt. No. QO22030153
Joe Henri5/6/2022 3:02:27 PMDear Acting Board Secretary, Please find attached Dimension Renewable Energy's response to the Board's request for information in Q022030153. Thank you, Joe Henri DRE Response to Permanent Program RFI_05062022
Jake Springer5/6/2022 2:50:18 PMPlease see attached.QO22030153 Nexamp CS Permanent Program Comments
Debbie Mans5/6/2022 2:19:02 PMPlease see attached letter. Thank you.Community Solar Coalition Letter 6May22
Cynthia L.M. Holland5/6/2022 2:06:20 PMPlease see attached Comments of Atlantic City Electric CompanyACE - Community Solar Comments - QO22030153 - 5-6-2022
Yasmine Pessar5/6/2022 1:17:39 PMPlease accept the enclosed comments on Community Solar Permanent Program Design, Docket No. QO22030153. We provide these comments in response to the Notice of Request for Comments issued by BPU on April 11, 2022.Hoboken Comments on Community Solar Docket No. QO22030153_final
Kaitlin Hollinger5/6/2022 12:42:14 PMPlease see attached.22-0506 BlueWave Public Comment - Docket QO22030153
Matthew Marlow5/6/2022 12:37:55 PMAltus Power response to REQUEST FOR COMMENTS IN REGARDS TO THE COMMUNITY SOLAR ENERGY PROGRAMNJ Community Solar Stakeholder Comments Altus 5.6.22
Brock Gibian5/6/2022 9:29:54 AMEcogy Energy's Response to Request for Comments In the Matter of the Community Solar Energy Program (“Permanent Program”) ? Docket No. QO22030153 Ecogy Energy_NJBPU_ PermanentCommunitySolarEnergyProgram_Comments
Hillel Halberstam5/5/2022 4:04:25 PMSynerGen Solar ("SynerGen") offers the following comment in response to Question 4 in Section I (Program Design and Eligibility) of the Request for Comments ("RFC") issued by Staff of the New Jersey Board of Public Utilities ("NJBPU"). Question 4 in Section of the RFC states: "What land use restrictions and limitations, if any, should apply to the siting of community solar projects? While Section 6 of the Solar Act of 2021 does not establish siting standards for Community Solar projects, should the Board adopt comparable standards be extended to also apply to community solar facilities? What should those standards look like?" SynerGen recommends that any siting standards, if adopted, should encourage community solar projects to be developed on industrial-zoned land. To date, the NJBPU has encouraged the development of community solar projects on rooftops, landfills and brownfields and discouraged the development of community solar projects on agricultural land. The NJBPU has largely remained silent on the development of community solar projects on industrial-zoned land. SynerGen believes that the development of community solar projects should be similarly encouraged on industrial-zoned land, since this type of land would not be taking agricultural land out of agricultural use. The State of Maryland includes an incentive for industrial-zoned land in its community solar program (see COMAR 20.62.03.08.B(2)) and SynerGen strongly encourages the NJBPU to similarly incentivize the development of community solar projects on industrial-zoned land in its community solar program as well. 
Emma Von Thun5/5/2022 2:08:28 PMComments from Mayor Gayle Brill Mittler and Teri Jover, Borough Administrator. Highland Park Comments on Docket No. QO22030153_FINAL
John Lennon Miller5/5/2022 9:19:01 AMResponse to question I.7: We agree with the concept of separating and prioritizing use classes with those classes defined around the impact to competing interests and alternative uses. We also agree with having 3 general tiers or rankings to prioritize areas which have the most public benefit with the least adverse public impacts, especially when it comes to “Community” Solar siting. The highest prioritization currently goes to landfills and brownfields and we believe that floating solar should be elevated to this level and rooftops should be deprioritized to the middle tier. Rooftop is already well established and does not still reasonably require the highest tier of preference for community solar. Rooftops are an ideal place to put commercial and residential solar; however, rooftop is not the right place for the scale and efficiencies intended for a community solar facility. Additionally, rooftops already utilize established incentivize programs, such as commercial and residential behind-the-meter capacity, whereas floating solar does typically does not have this possibility. Like landfills and brownfields, Floating Solar is an innovative and emerging technology that efficiently uses larger areas of otherwise unusable space while avoiding public safety risks as well as environmental issues like stormwater management and habitat issues. Also, floating solar often provides ancillary environmental benefits to improve water quality and other efficiencies which ultimately add to the general public benefit, which are in keeping with the principles of “Community” Solar projects. Landfills, Brownfields and Floating solar sites are easily identifiable and equally unable to be used for other uses, so incentivizing development on these areas with higher priorities provide significant benefit.  
Jonathan Abe5/4/2022 9:48:24 AMPlease see the attached file for comments. Thank you.Sunwealth Power Request for Comments NJ Community Solar Permanent Program

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