Overview
Title
Dressor Plains Solar, LLC; Supplemental Notice That Initial Market-Based Rate Filing Includes Request for Blanket Section 204 Authorization
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ELI5 AI
Dressor Plains Solar, LLC wants to set prices based on market conditions and ask for permission to do some financial things in the future. People who want to say something about this need to tell the Energy Department by March 15, 2021, and it's easier to do this online because the office is closed for visits right now.
Summary AI
Dressor Plains Solar, LLC has submitted an application to the Federal Energy Regulatory Commission (FERC) seeking approval to set rates based on market conditions and has requested blanket permission to issue securities and take on liabilities in the future. People interested in intervening or protesting this application should submit their requests by March 15, 2021. FERC encourages electronic submissions through their website, although paper submissions are also accepted. Due to COVID-19 restrictions, the Commission's Public Reference Room is temporarily closed, but documents can still be accessed online.
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AnalysisAI
General Summary
The document is a supplemental notice from the Federal Energy Regulatory Commission (FERC) regarding an application by Dressor Plains Solar, LLC. The company is seeking permission to set its electricity rates based on market conditions. Additionally, Dressor Plains Solar wants a "blanket authorization" that would allow future issuances of securities and liabilities without needing separate approvals each time. The deadline for filing protests or motions to intervene in response to this application is March 15, 2021.
Significant Issues and Concerns
The document contains technical language and references to specific regulations within the Code of Federal Regulations (CFR), which might be challenging for individuals without a legal or regulatory background to understand. This could hinder public engagement, as potential stakeholders might struggle to navigate the process for filing interventions or protests.
Moreover, the encouragement of electronic submissions could disadvantage those without internet access or the technological skills required to navigate FERC's online submission process. Additionally, the document notes the closure of the Public Reference Room due to COVID-19 but does not offer alternative resources for individuals who cannot access documents online.
There is also mention of two different addresses for hand-delivered submissions and mail submissions, which might confuse stakeholders who wish to submit documents in person.
Impact on the Public
For the general public, particularly those relying on electricity generated by Dressor Plains Solar, this document might signal changes in electricity pricing. Since the rates would be market-based, it implies potential price fluctuations depending on market conditions.
Individuals interested in participating in the regulatory process might be deterred by the complexity of the document and the submission process, potentially limiting public input in decisions that could affect energy pricing and services.
Impact on Specific Stakeholders
For Dressor Plains Solar, LLC, securing market-based rate authority would likely allow for greater flexibility in pricing their energy products. The blanket authorization for issuing securities and liabilities would simplify their financial maneuvers, potentially aiding business growth and stability.
However, for consumers and advocacy groups, the possibility of increasing electricity rates could be a concern, especially if market conditions lead to higher prices. They might also be interested in ensuring that Dressor Plains Solar’s operations remain transparent and that public input is considered in regulatory decisions.
For community members without robust internet access or digital literacy, the emphasis on online processes and suspension of physical services may pose significant challenges, possibly limiting their ability to participate effectively in regulatory or legal interventions.
In summary, while the document primarily focuses on facilitating Dressor Plains Solar's operational efficiencies and regulatory compliance, it raises several procedural challenges that could impact stakeholder engagement and energy consumers.
Issues
• The document contains technical jargon and references to specific CFR (Code of Federal Regulations) parts, which might be difficult for laypersons to understand.
• There is an expectation for electronic submissions, which might pose a challenge for those without internet access or technical ability.
• The process for intervention or protest involves several steps that might not be clear to all stakeholders, particularly those unfamiliar with legal or regulatory procedures.
• The document refers to suspension of access to the Commission's Public Reference Room due to COVID-19 without providing alternative resources for those without internet access.
• The physical address for hand delivery does not match the primary address provided for mail submissions, which might create confusion for stakeholders delivering submissions by hand.