Our submission sees merit in a well-designed capacity mechanism but the detail of the design process and the design itself will decide whether such a mechanism works to consumers’ overall benefit. Australians expect and deserve a reliable energy system but it cannot be at the expense of having an affordable one.
Protecting customers affected by family violence is the responsibility of us all. That’s why we commend the AEMC for strengthening the rule change proposed by Red Energy and Lumo Energy.
For such non-network solutions to compete fairly with traditional network approaches requires that third-party providers have access to the same data and information that network companies have on voltage within the distribution system.
Energy Consumers Australia encourages the Australian Energy Market Commission to reject the rule change and ensure AEMO fees are subject to the same scrutiny as other network costs.
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.
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.
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.
DNSPs should only impose static exports on CER in rare cases. Read our recommendations to find out when.
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