FR 2020-29248

Overview

Title

Citrus World, Inc.; Notice of Petition for Declaratory Order

Agencies

ELI5 AI

Citrus World, Inc. asked an important energy group if they can skip some rules for a special energy project, and people can say if they agree or not until January 11, 2021, but they have to do it online or by mail because the office is closed due to COVID-19.

Summary AI

Citrus World, Inc. submitted a petition to the Federal Energy Regulatory Commission (FERC) on December 21, 2020. They are asking FERC to issue a declaratory order that provides a partial waiver of certain regulations related to cogeneration qualifying facilities, except for sections 205 and 206 of the Federal Power Act. Anyone wishing to protest or intervene in response to this petition must adhere to FERC's specified rules and file by January 11, 2021. Due to COVID-19, the public cannot access FERC's Public Reference Room, but electronic and mailed filings are encouraged.

Type: Notice
Citation: 86 FR 539
Document #: 2020-29248
Date:
Volume: 86
Pages: 539-539

AnalysisAI

Citrus World, Inc., a company probably known for citrus-related operations, has approached the Federal Energy Regulatory Commission (FERC) with a request. On December 21, 2020, they submitted a petition for a declaratory order, aiming to obtain a partial waiver from some regulatory requirements imposed on cogeneration qualifying facilities. This request excludes sections 205 and 206 of the Federal Power Act, which the document doesn't elaborate on. By highlighting this request, the document urges any interested parties to intervene or protest through specified procedural rules by January 11, 2021.

Summary and Concerns

For those unfamiliar with the intricate regulatory environment of energy production, this notice can be challenging to navigate. Citrus World, Inc.'s petition lacks specific details on why the waiver is necessary, which could be crucial for both understanding and assessing the impact of the granting this waiver. Such information is often vital for stakeholders who would otherwise have no context for evaluating potential consequences.

Due to ongoing COVID-19 restrictions, access to FERC's Public Reference Room is suspended. While electronic access is provided, the document does not address the need for alternative access methods for those lacking internet capabilities. This limitation raises potential barriers to information access, disproportionately affecting those without digital means.

Implications for the Public

For the broader public, the document demonstrates how regulatory processes can impact industries. Energy and utility regulations are complex and can have direct and indirect effects on the public, from changes in energy prices to shifts in market operations. FERC's decisions in response to such petitions could influence energy markets, potentially affecting electricity costs. For Citrus World, Inc., a favorable outcome might mean reduced compliance costs or operational flexibility, which could yield economic benefits for the company.

Stakeholder Impact

Specific stakeholders, particularly those within the cogeneration sector or competitors of Citrus World, Inc., may experience more pronounced impacts. Favorable regulatory arrangements could provide competitive advantages, albeit prompting concerns over fairness and compliance consistency. Competitors might see Citrus World, Inc.'s waiver as a challenge to their standing in the market, raising issues of equity and market dynamics.

Conclusion

This FERC notice highlights an instance where industry-specific regulatory changes are sought, showcasing the importance of public participation in regulatory matters. While technical and seemingly opaque, such matters underscore the intricate balance between regulation, industry operations, and market fairness. The general public and stakeholders alike benefit when regulatory processes remain transparent, accessible, and equitable, ensuring informed decision-making and fair advantages across sectors.

Issues

  • • The document does not provide a detailed explanation of why Citrus World, Inc. is requesting partial waiver of Commission regulations, which may be important for evaluating the necessity and implications of the waiver.

  • • The document refers to a suspension of access to the Commission's Public Reference Room due to COVID-19 but does not mention alternative methods for individuals without internet access to obtain information.

  • • The guidance on how to use the eLibrary link is somewhat unclear; specifying the exact steps to access the document could benefit users unfamiliar with the system.

  • • The use of terms like 'intervene,' 'protest,' and 'motion to intervene' might be unclear to those not familiar with legal or regulatory proceedings.

  • • The section instructing how to serve a document on the Petitioner lacks detailed instructions, which could cause confusion for individuals unfamiliar with legal document serving procedures.

  • • The notice assumes understanding of specific rules and sections of the Federal Power Act without providing context or explanation about these sections.

Statistics

Size

Pages: 1
Words: 505
Sentences: 17
Entities: 52

Language

Nouns: 161
Verbs: 48
Adjectives: 16
Adverbs: 4
Numbers: 40

Complexity

Average Token Length:
4.93
Average Sentence Length:
29.71
Token Entropy:
5.00
Readability (ARI):
20.29

Reading Time

about a minute or two