Findings of Fact

1. The 24 months allotted for R.06-05-027 will soon toll, but RPS Program issues continue.

2. A successor proceeding is necessary to continue efficient implementation and administration of the RPS Program.

3. It is reasonable to continue implementation and administration of the RPS Program through a new rulemaking.

4. It is reasonable to incorporate the record from R.05-06-027 into this proceeding.

5. In view of the complexity of the items in this and related proceedings, it is reasonable to have this proceeding extend for 24 months from the date of the subsequent assigned Commissioner's Scoping Memo in this proceeding.

6. Neither CCV nor CCSF is a currently registered CCA; SJVPA is a currently registered CCA; and neither APSES nor New West Energy are currently registered ESPs.

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