Comment
The Consortium is concerned that, as currently drafted, the proposal is overly restrictive and unlikely to result in significant PPA uptake. In particular, limiting eligible loads and generators to IESO-market participants, not allowing hybrid energy storage-renewable generation facilities, requiring a copy of the PPA to be provided to the IESO, as well as potentially requirements for municipal support resolutions and land use restrictions will all act as disincentives for new generation facilities to participate.
Supporting documents
Submitted June 20, 2024 12:54 PM
Comment on
Ontario Regulation 429/04 Amendments Related to the Treatment of Corporate Power Purchase Agreements
ERO number
019-8666
Comment ID
99973
Commenting on behalf of
Comment status