Submissions | November 22, 2022
Submission to the AER’s Draft Decision in the Connection Charge Guideline Review
DNSPs should only impose static exports on CER in rare cases. Read our recommendations to find out when.
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Submissions | November 22, 2022
DNSPs should only impose static exports on CER in rare cases. Read our recommendations to find out when.
Continue readingSubmissions | November 22, 2022
In a market that will only get more complex, we advocate for an improved consumer protections framework.
Continue readingSubmissions | November 9, 2022
The National Electric Vehicle Strategy has an important role in enabling a nationally comprehensive policy that allows all Australians to access the benefits of EVs, for both mobility and supporting the transition to a lower carbon electricity industry.
Continue readingSubmissions | November 4, 2022
This submission focuses exclusively on Chapter 4 of the Stage 3 Draft Report on the regulatory treatment of concessional finance in the National Electricity Rules.
Continue readingSubmissions | October 11, 2022
Improving transparent communication and engagement from network businesses with customers on their export services provides an excellent avenue to increase both trust and affordability.
Continue readingSubmissions | September 26, 2022
As we discuss in our submission, implications for forecasting energy demand across the National Electricity Market (NEM) and the potential impact on future peak demand requirements should not be considered […]
Continue readingSubmissions | September 21, 2022
We support the AER’s statement that ‘the imposition of a static zero limit should be a rare event that happens in exceptional circumstances only.’
Our submission emphasises the following…
Submissions | September 5, 2022
Reliable and accurate data allows decision-makers and advocates to identify emerging issues, draft solutions and evaluate their impacts
Continue readingSubmissions | September 5, 2022
Despite its name, function, and intent, our understanding is that during the market disfunction in June 2022, the Administered Price Cap did not actually cap or reduce prices. As a result, this letter, representing our submission on this rule change, makes three primary points.
Continue readingSubmissions | August 26, 2022
Wholesale market monitoring is an essential function for a well-regulated electricity market – particularly at this point in time given the recent market suspension, rising consumer costs, and several market design changes underway. Accordingly, Energy Consumers Australia agrees with the Department on all issues raised in the Consultation.
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