Program Guidance

While we have provided the utilities with maximum flexibility to administer programs we provide direction for further program enhancement and budget modifications. We expect that the utilities will consider this guidance and report the inclusion of these principles in the June quarterly report.

Compliance with Assembly Bill 970

The utilities proposals can be enhanced to implement the requirements of AB 970. With the exception of SDG&E, the utilities have designed very few new programs. We suggest that the utilities undertake the following activities, related to the specific requirements of AB 970:

Expansion of Weatherization Programs

In order to achieve more residential and commercial weatherization, we recommend the following additional activities, at a minimum:

Expansion of HVAC Programs

HVAC efficiency represents a huge opportunity for peak demand savings. A comprehensive program approach to HVAC could include incentives for purchase or installation of high-efficiency HVAC equipment, coupled with incentives for recycling or pick/disposal of the replaced equipment. We recommend the following activities to tap this market potential more fully:

Expansion of New Construction Programs

AB 970 recognized the continued growth in electricity demand by specifically emphasizing the need for expanded new construction programs( (§399.15(b).) . We recommend that the utilities consider the following activities, at a minimum:

Compliance with D.00-07-017 Directives

Targeted Outreach and Information

· The development and expansion of the joint utility website.

Local Government Initiatives

The utilities should enhance and increase partnerships with local governments to achieve energy efficiency at the local level. In particular, we recommend that the utilities pursue the following activities:

Other Programs to Maximize Energy and Demand Savings

In addition to the ideas suggested above, we recommend that the utilities explore these some additional activities designed to increase availability of energy efficiency programs to consumers.

Residential remodeling

We are concerned that for several utilities, the RCP program is the primary vehicle for delivering energy efficiency to existing residential consumers. This program, even if successful, is only one strategy that belongs in a portfolio of options for residential customers. While a number of specialist contractors are enthusiastic participants in the RCP, evidence suggests that the program does not reach the bulk of general contractors who typically undertake remodeling and renovation of existing residential buildings.

As described above, we recommend that the utilities make a significantly wider range of end-use rebates available to residential customers directly or to their general contractors responsible for remodeling or renovation. A program for single family residential customers could be modeled after the successful non-residential Express Efficiency program for small commercial customers. Further suggestions include kiosks in home improvement centers, which have been successfully used by SDG&E in its service territory as well as programs with local governmental entities to provide information through local government permitting and planning offices, as discussed further above. Direct rebates for residential customers for appliances would also be beneficial.

Commercial Cooling

We believe there are sufficiently large peak demand and small energy savings benefits to be gained from offering assistance to building owners wishing to install these systems. We therefore recommend that the utilities add thermal energy storage as an eligible cooling measure to the Large SPC program.

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