Comments/Commentary
The PEAK Coalition submitted comments urging the New Jersey Department of Environmental Protection to impose modifications on the Title V Operating Permit Renewal for Bayonne Energy Center, a gas-fired peaker power plant.
Clean Energy Group submitted comments to the New Jersey Board of Public Utilities in response to a Request for Information (RFI) regarding the development of the state’s Virtual Power Plant (VPP) program and Phase 2 of the Grid-Sourced Energy Storage Program (GSESP).
The PEAK Coalition (UPROSE, The POINT CDC, New York City Environmental Justice Alliance, Clean Energy Group, and New York Lawyers for the Public Interest) submitted comments opposing to a petition to suspend or modify New York’s Renewable Energy Program under the Climate Leadership and Community Protection Act. In the comments, the PEAK Coalition notes that…
CEG’s comments argue that battery storage is technically and financially feasible at Calpine Sherman Avenue Energy Center based on its analysis of the plant’s operations and site, contrary to Calpine’s statements.
The PEAK Coalition (UPROSE, The POINT CDC, New York City Environmental Justice Alliance, Clean Energy Group, and New York Lawyers for the Public Interest) submitted comments to the New York State Energy Planning Board about their Draft State Energy Plan. The comments convey deep concern for the Draft Energy Plan’s heavy reliance on expensive and…
Clean Energy Group (CEG) submitted these comments to U.S. Environmental Protection Agency (EPA) administrator Lee Zeldin in regards to Docket ID No. EPA-HQ-OAR-2025-0124.
CEG submitted comments to the Massachusetts Department of Energy Resources (DOER) in response to DOER’s request for stakeholder feedback regarding the Advancing Massachusetts Power (AMP) straw proposal.
In these comments, CEG urges DOE to extend the deadline for comments on the proposed scope of the Environmental Impact Statement for the Appalachian Hydrogen Hub by another 60 days and lays out the ramifications of hydrogen energy.
In these comments, CEG urges DOE to extend the deadline for comments on the proposed scope of the Environmental Impact Statement for the California Hydrogen Hub by another 60 days and lays out the ramifications of hydrogen energy.
Comments on New Jersey Board of Public Utilities’ Virtual Power Plant Straw Proposal
CEG submitted comments to the New Jersey Board of Public Utilities (NJ BPU) concerning their Virtual Power Plant Straw Proposal under Docket No. QO26030099.