Tag Archives: Austin Energy

Please deny Georgia Power rate, signal get on with renewable energy –WWALS to GA-PSC 2019-11-05

Testimony sent as PDF yesterday, for the Georgia Power rate hike Public Hearings continuing today at GA-PSC.

[2016 Peak Day Marginal Costs]
2016 Peak Day Marginal Costs


November 5, 2019

To:

Jason Shaw, Commissioner, District 1

Georgia Public Service Commission

244 Washington Street, SW

Atlanta GA, 30334-9052

jshaw@psc.ga.gov

Re: Docket 42516 Georgia Power Company’s 2019 Rate Case

Commissioner Shaw,

It was good to meet with you Thursday.

I have not met anyone unaffiliated with the electric power industry who supports a rate hike for Georgia Power, especially not a mandatory connection fee. Many people around here are already struggling to balance electric bills, grocery bills, and gas bills. A mandatory connection fee would most greatly affect those least able to afford it. Despite Georgia Power’s arguments, the beneficiaries of such a rate hike would not be its customers, rather its investors, following a playbook spelled out by the electric utility industry think tank Edison Electricity Institute back in 2013.

I urge the Georgia Public Service Commission to reject Georgia Power’s request for a connection fee raise, or at the least to make it as minimal as possible. Georgia Power as a regulated public utility should be “A Citizen Wherever We Serve,” not an agent for its investors to get more profit at the expense of its customers.

[Urge reject connection fee raise]
Urge reject connection fee raise

It is not surprising that Georgia Power is in need of funds, due to Southern Company’s failing Big Bet on Continue reading

Motion to reject FERC DSEIS, to take Sabal Trail out of service, and to revoke its permit: WWALS to FERC 2017-12-29

reopen the whole basis of the FERC 2016 Order, Filing FERC, if it follows its own rules, should reject the DSEIS, stop Sabal Trail, and revoke its permit, says a motion filed today with FERC by Suwannee Riverkeeper.

Followup blog posts will feature major sections and arguments from these 20 pages with their 93 footnotes. The basic arguments are summarized on the first page:

WWALS argues that no SEIS can be complete without accounting for GHG from Liquid Natural Gas (“LNG”) exports, nor without comparing natural gas to solar power, according to precedents already set by FPL, FERC, and others, which also reopen the whole basis of the FERC 2016 Order.

FERC may not care, but the D.C. Circuit Court may, or candidates for office, or the voting public.

 -jsq, John S. Quarterman, Suwannee RIVERKEEPER®

You can join this fun and work by becoming a WWALS member today!


Filed with FERC today as Continue reading