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Renewable Energy and Efficiency Business Association

Today's (October 12) REEBA discussion, gathers your input regarding the implementation of the ZREC and LREC programs. Sections 107, 108, and 110 of CT Public Act 11-80 call on the DEEP, PURA, and the EDCs to use this means of eliciting clean energy projects in CT over the next ten years.This sessi

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Renewable Energy and Efficiency Business Association

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    2. Today’s (October 12) REEBA discussion, gathers your input regarding the implementation of the ZREC and LREC programs. Sections 107, 108, and 110 of CT Public Act 11-80 call on the DEEP, PURA, and the EDCs to use this means of eliciting clean energy projects in CT over the next ten years. This session is prompted by a written request for information dated October 3, 2011 from the CT Electric Distribution Companies (EDCs) – Connecticut Light and Power (CL&P) and the United Illuminating Company (UI). REEBA will consolidate today’s comments and suggestions, presenting the aggregate results to the EDCs (and other parties) on or before October 17, 2011

    3. GROUNDRULES Today’s scope is limited to those sections related to promoting and incenting clean energy resources by competitively bidding for utility contracts for ZRECs and LRECs It will be helpful to refer to the EDC’s 10/3/11 RFI as we generate comments Because of our limited time the discussion may have to move on before everyone has had his/her opportunity to speak After today, you can email comments (by Friday, October 14) to: Paul Michaud: pmichaud@murthalaw.com Paul Michaud will gather all comments and draft a formal response.

    4. Comments on EDCs’ RFI Section 1: General – this is an introduction to the RFI. REEBA has no comments on this section. Section 2: RFI Process – this deals with how to respond to the RFI. Attachment I is the EDCs’ proposed schedule to implement the program(s). REEBA is pleased that the schedule is responsive to project developers’ wishes. Sections 3 and 4 of the RFI contain the substance of the issues, and contain five specific questions. Section 5 seeks additional comments.

    5. Comments on EDCs’ RFI

    6. Comments on EDCs’ RFI

    7. Comments on EDCs’ RFI

    8. Comments on EDCs’ RFI

    9. Comments on EDCs’ RFI

    10. Comments on EDCs’ RFI

    11. Comments on EDCs’ RFI

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