Energy Consumers Australia has provided comment on the Australian Energy Regulator (AER)’s DRAFT Interim Guidance Note on Flexible Exports.
Our key recommendation is to separate Section 4.1 into two clear sections to ensure a distinction is made between i) export capacity calculation and methodology and ii) export capacity allocation. This will help communicate to DNSPs that they need to demonstrate their export hosting capacity calculation and methodology and separately how they allocate the capacity they have calculated carefully.
Read our submission here.