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Comment ID

2755

Commenting on behalf of

Individual

Comment status

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I would like the Ministry and/or the OEB to direct the meter data repository agency in Toronto to update its system so that peak-time generation that is delivered to the distribution network (e.g.

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Comment ID

2757

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Individual

Comment status

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 As an Ontario-based manufacturer of small (20 kW) wind turbine technology with a 20+ year track record, Wenvor Energy would like to communicate support for the proposed amendment to Ontario Regulation 541/05, including  Virtual Net Metering (VNM).

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Comment ID

2758

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Individual

Comment status

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 Just trying to understand the mechanism in a VNM behind the meter configuration. Does the retailer have to own the grid tied meter (the existing Utility Meter). Does the retailer have to own all meters generating or consuming for the VNM configuration.

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Comment ID

2759

Commenting on behalf of

Individual

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I have a few questions. I am unable to attend the local talk.

  I am mostly successful in keeping my kWh  usage under 300 KWh/ month.  At current rates, the cost of the power I use is less than what I am charged for delivery.

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Comment ID

2760

Commenting on behalf of

Individual

Comment status

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On behalf of EDF EN Canada, I submit the following comments:

  •EDF EN supports the Ministry’s decision to enable Third-party ownership and behind-the-meter agreements between the customer and third party;

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Comment ID

2761

Commenting on behalf of

Individual

Comment status

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 Ministry of Energy – EBR Registry Number:   013-1913

 Ben Weir

 Senior Policy Adviser - Ministry of Energy

 Conservation and Renewable Energy Division

 Conservation and Energy Efficiency Branch

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Comment ID

2762

Commenting on behalf of

Individual

Comment status

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January 18, 2018

  Ben Weir

 Ministry of Energy

 Conservation and Renewable Energy Division

 Conservation and Energy Efficiency Branch

 Renewable Energy Facilitation Office

 77 Grenville Street, Floor 5

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Comment ID

2763

Commenting on behalf of

Individual

Comment status

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   Dear Mr. Weir,

  Prowind is a developer, owner and operator of renewable energy electric generation projects.  We have been active in various Ontario renewable energy procurements, and are now active in the net metering space.

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Comment ID

2767

Commenting on behalf of

Individual

Comment status

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   Ben Weir

 Senior Policy Adviser

 Ministry of Energy

 Conservation and Renewable Energy Division

 Conservation and Energy Efficiency Branch

 Renewable Energy Facilitation Office

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Comment ID

2768

Commenting on behalf of

Individual

Comment status

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   January 17, 2018

  Ben Weir

 Senior Policy Adviser

 Ministry of Energy

 Renewable Energy Facilitation Office

 77 Grenville Street, 5th Floor

 Toronto, ON, M7A 2C1

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Comment ID

2769

Commenting on behalf of

Individual

Comment status

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   January 17, 2018

  Mr. Ben Weir, Senior Policy Adviser

  Ministry of Energy, Renewable Energy Facilitation Office

  77 Grenville St., Toronto, ON M7A 2C1

    RE: EBR proposal 013-1913 (Net Metering)

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Comment ID

2770

Commenting on behalf of

Individual

Comment status

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Please find enclosed the submission of Blue Box Technology with regard to Proposed Amendment of Ontario Regulation 541/05: Net Metering. Neil Freeman, Corporate Director, Blue Box Technology

[Original Comment ID: 212055]

Comment ID

2772

Commenting on behalf of

Individual

Comment status

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 January 18, 2018

  Ben Weir

 Ministry of Energy

 Conservation and Renewable Energy Division

 Conservation and Energy Efficiency Branch

 Renewable Energy Facilitation Office

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Comment ID

2773

Commenting on behalf of

Individual

Comment status

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 Entegrus Powerlines Inc. (“Entegrus”) is a local distribution company serving approximately 40,000 customers across 16 communities in southwestern Ontario.

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Comment ID

2774

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Individual

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 Compass Renewable Energy Consulting Inc. (“Compass”) and Power Advisory LLC (“Power Advisory”) have prepared this submission on behalf of the newly formed Distributed Energy Resources Advisory Committee (“DER AC”).

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