Comment
Please see below for comments regarding the ERO Posting for the post 2020 framework:
The proposal implies lower budgets in the first two years of the framework. We recommend that the proposal specify that consistent funding be provided across all years of the framework.
The proposal indicates that “education and tools” will be provided to residential customers. We recommend that the proposal specify that residential customers be provided with comprehensive program support, including access to program rebates and incentives in addition to education and tools.
We recommend that the proposal consider integrating non-energy benefits into the program strategies, especially for residential programs.
Budget and saving targets are not clearly identified in the proposal; we recommend their inclusion.
We recommend including guidance on integrating with natural gas programs.
Submitted August 21, 2020 7:23 PM
Comment on
2021-2024 Conservation and Demand Management Framework
ERO number
019-2132
Comment ID
47639
Commenting on behalf of
Comment status