Earthjustice
CEG joined two dozen organizations in drafting and submitting a response to the New York Public Service Commission in opposition to a proposed “zero emissions” program that would make technologies like hydrogen combustion and renewable natural gas eligible under New York State’s Clean Energy Standard.
These comments explain how the proposed Astoria Gas Plant replacement project proposed by NRG in New York City is inconsistent with New York’s Climate Leadership and Community Protection Act emissions reduction mandates. The comments were drafted in response to the issuance of a Draft Title V Air Permit and a Draft Environmental Impact Statement.
PEAK Coalition Comments on the New York Energy Storage Roadmap
The PEAK Coalition, in partnership with Earthjustice and El Puente, filed comments on March 7, 2024, with the New York State Public Service Commission. The comments call for the need for a capacity carveout and additional incentives for battery storage in New York City (NYISO’s Zone J) in any upcoming order implementing New York’s Energy Storage Roadmap.