‘The foundation of the new rules is the assumption that the consultation process on the ISP will provide sufficient opportunity for stakeholders to provide input into the debate on assumptions and modelling methodology. On this basis it is proposed that disputes can only be raised on matters of process, and only after the final ISP […]
‘We support the development of the ISP and see it having a crucial role in facilitating this transition pathway at the most efficient cost to consumers, provided there is thorough, transparent and respectful engagement along with rigorous, independent oversight of costs and benefits. Therefore, the EUAA is focused on ensuring the development of the ISP […]
‘We support the development of the ISP and see it having a crucial role in facilitating this transition pathway at the most efficient cost to consumers, provided there is thorough, transparent and respectful engagement. This engagement must go beyond a “show and tell” approach where consumers are simply presented with an ISP that has been […]
‘While we recognise that parts of the network are experiencing congestion, which is reflected in declining MLF’s, we do not see how diluting this important market signal will lead to better outcomes for those impacted generators or consumers. In fact, in moving from MLF to ALF, congestion may in fact worsen resulting in periods of […]
The EUAA supports the preferable rule change made by the Commission and support the Commission’s conclusions from its assessment framework. Download submission attached here for full details.
‘Our focus in this submission is the east coast gas market. We begin by outlining the key themes of our submission and our preferred regulatory framework. We then discuss the wider context of the impact of Government energy and climate policy on the future of gas pipelines before a more focussed discussion of the role […]
‘In this current application, the Victorian Government, drawing on the August 2019 AEMO ESOO and other sources, argues that there is evidence of material changes since May 2019 that warrant re-opening of the issue under an expedited rule change process. Our previous submission on this matter focused on whether the derogation should be considered by […]
‘EUAA members are highly exposed to movements in both gas and electricity prices and have been under increasing stress due to escalating energy costs. These increased costs are either absorbed by the business, making it more difficult to maintain existing levels of employment or passed through to consumers in the form of increases in the […]
The EUAA welcomes the opportunity to make some brief comments on this consultation paper. Full submission attached…
See attached submission.
Submission attached.
Thank you for the opportunity to provide a submission to the Energy Charter Accountability Panel. The EUAA is supportive of the Energy Charter…. See attached for full submission.
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