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Abstract: . . . DEBC1F8A99F5/0/AERVIdraft9dcmnrPrintersFinalVersion.pdf. In the future (under a different type of policy support), Ireland will impose even stricter assurances, including a valid interconnection agreement from the relevant grid operator. 34 For example, in the first stage, there were two sub-tenders: one for developers that had already measured the wind resource, and another for those that had not. The second stage also had two sub-tenders: one for projects on the continent, and another for projects in overseas French territories. 35 ADEME, May 2001 Quarterly News Bulletin of the ToTem Project. http://translate.google.com/translate?hl=en&sl=fr&u=http://www.ademe.fr/travail/totem/ContexteProjet .htm&prev=/search%3Fq%3DEOLE%2B2005%26hl%3Den%26lr%3D 36 http://www.renewable-energy-policy.info/relec/france/policy/bidding.html 37 See: http://translate.google.com/translate?hl=en&sl=fr&u=http://e2phy.in2p3.fr/2001/bal2/sld005.htm&prev =/search%3Fq%3DEOLE%2B2005%26hl%3Den%26lr%3D 38 The 21 MW wind project was cancelled when the completed wind resource study revealed a resource that was considered unviable, even given the NJBPU support. Page 53 49 39 NYSERDA has also offered two programs supporting wind prospecting. 40 92 percent availability earned the full incentive, and the incentive declined linearly to zero at 42 percent availability. 41 Phase II of the program did not offer production incentives but rather other forms of financing, such as subordinated debt. Perhaps in part due to the less-attractive nature of . . . . . . California’s Loading Order for Electricity Resources.” CEC-400-2005-043, July 2005. 4 Ryan Wiser, Kevin Porter and Mark Bolinger. “Preliminary Stakeholder Evaluation of the California Renewables Portfolio Standard.” CEC-300-2005-011, June 2005. 5 Center for Resource Solutions. “Achieving a 33% Renewable Energy Target.” Prepared for the California Public Utilities Commission, November 1, 2005. 6 California Energy Commission. “2005 Integrated Energy Policy Report.” CEC-100-2005-005-CTF, November 2005. 7 Center for Resource Solutions. “Achieving a 33% Renewable Energy Target.” Prepared for the California Public Utilities Commission, November 1, 2005. 8 In their 2006 renewable energy procurement plans, SCE and PG&E also note that presumptively increasing the IPT to 1.2 percent is not appropriate at least in part because the IPT represents a delivery requirement, not a contracting requirement. 9 Despite several attempts, we were unable to contact SDG&E. 10 This was not always possible, however, due to confidentiality constraints, lack of institutional memory, or a lack of time on the part of the respondent. 11 Delayed is defined not as a simple delay of a few months in construction, but as significant delays in the project coming on-line coupled in many cases with uncertainty of the project ever becoming successful. 12 California Energy Commission. “1994 Electricity Report.” P300-95-002, November 2005. 13 PG&E, SCE and SDG&E 1st Quarter 1987 and 3 rd Quarter 1995 Cogeneration and Small . . . --3000,2,750,3194,116960
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