‘… Powercor currently holds an electricity distribution licence under the Electricity Industry Act (Victoria) 2000 (EI Act) in the western half of Victoria. The EUAA understands that Powercor has applied for an electricity transmission licence to cover the same geographic area as its current distribution licence to improve competition for the connection of customer facilities […]
‘…AEMO has created models for electricity consumption and DSP as inputs into the 2024 Electricity Statement of Opportunities (ESOO) and presented these to the FRG. While we agree or have no opinion on most of the modelling and the assumptions behind those models, we have prepared this submission to recommend amendments to some assumptions as […]
‘….We support the current classification and agree that the energy policy context in South Australia means there is no need for an abolishment service. Proposed Tariff Approach We support continuation of the price cap form of regulation and consider this preferable to either a revenue cap or hybrid approach…..’ Please download attachment to read […]
‘…. The EUAA supports the AER developing a Position Paper in the first 60 days after submission by the Network Operator, instead of a Draft Determination, or as per ISP contingent projects, no report. We believe that the timeframe required to develop the Position Paper while allowing for consultation and a determination does not allow […]
‘…. The EUAA recognises that the ISP is (currently) a transmission transition plan to enable the replacement of coal fired power generation with Variable Renewable Energy (VRE). It is therefore appropriate that the ISP calculates the emissions reduction potential for both the proposed transmission network and the generators that will connect to it in the […]
‘… The EUAA makes this short submission supporting AER’s revised timeline with additional consultation in the Basslink Commencement and Process Paper. APA’s application to convert Basslink from a Market Network Service Provider (MNSP) to a prescribed Transmission Network Service Provider (TNSP) is a complex process that requires additional consideration and consultation. We consider that: In […]
‘… The EUAA participated in most of the stakeholder meetings and engaged with APA at all stages of their preparation of the proposal. This was a considerable and very welcome improvement in stakeholder engagement compared with that which was done for the current regulatory period reset. There was a genuine effort put into ensuring wide […]
‘…Thank you for the opportunity to make a submission under the Australian Energy Regulator’s (AER) Enhanced Wholesale Market Monitoring and Reporting Guideline. While the Issues Paper covers both electricity and gas, our particular focus is on the east coast gas market given it has substantially less transparency to consumers than the National Electricity Market. The […]
‘… We support governments setting policies to drive the transition to net-zero, but governments need to be seen to be supporting the transition financially instead of transferring the costs and risks to consumers. We are concerned that at some point in the not-too-distant future, consumers will be unable or unwilling to continue funding the transition. […]
‘… In our earlier submission on this matter[1], we set out our reasons for not supporting the proposed expedited process with particular focus on the proposed methodology for residential and small business customers. We are generally happy with the direct cost methodology being used for customer with demand >10MVA, though we would appreciate the opportunity […]
‘…The EUAA is aware of issues related to fairness and equity for consumers in allocating interconnector costs for new interconnectors, particularly Marinus Link. Utilising the existing NER cost allocation methodology, Victorian and Tasmanian consumers would pay a similar gross amount. When these similar amounts are disbursed amongst the individual consumers, an individual Tasmanian consumer would […]
‘… The EUAA sees benefits in creating consistency in the regulation of the services that are currently being supplied through third parties (such as FRMP’s) with those that already exist for retailers. The EUAA understands that Consumer Energy Resources (CER) refers to many different technologies that may be utilised differently with different price signals. These include […]
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