Clean Electricity Regulations – 8. Acronyms
Clean Electricity Regulations Policy Toolkit
Toolkit Contents
2.2 Abating Greenhouse Gas (GHG) Emissions – CCS and CCUS
3. MOST CONCERNING PROPOSED CHANGES
3.1.1. The Draft CERs approach to “EoPL” was good; Changing it is bad
3.1.2. Some of the provinces’ complaints about the Draft CERs
3.1.3. Corporations’ and System Operators’ Complaints about the Draft CERs
3.1.4. ECCC is considering extending the EoPL, but they are not telling us by how much
3.1.5. Refuting that the 20-year EoPL doesn’t allow gas plants to make enough profit
3.1.6. The “Retirement Cliff” argument fails when provinces are not willing to build renewables
3.1.7. Great Lakes offshore wind could provide enormous amounts of electricity for Ontario
3.1.8. Alberta has the greatest combined wind and solar potential in Canada
3.1.10. A preponderance of studies find that net zero electricity in Canada is possible by 2035
3.1.11. According to General Electric, 95% abatement from gas plants using CCS is already possible
3.1.13. Alberta is not acting in good faith and, therefore, their arguments lack merit
3.1.14. The Courts will almost certainly decide against Alberta
3.1.15. Suggestions for your submissions about the 20-year EoPL
3.2.2 Suggestions for your submissions on extending the 1 January 2025 deadline
3.3.1. The Draft CERs – an emissions intensity limit
3.3.2 Reaction to the Draft CERs
3.3.3. The Public Update – a unit-specific emissions limit
3.3.5. Suggestions for your submissions on the emissions intensity standard
4.1.1 Suggestions for your submissions on offsets
4.2.1 Suggestions for your submissions on cogeneration units
4.3.1 Suggestions for your submissions on the pooling of units
4.4.1. Suggestions for your submissions on a unit-specific emissions limit on peaker plants
4.5.1. Suggestions for your submissions on the emergencies exemption
4.6. Minimum Size – Applying the CERs to units whose capacities collectively total 25 MW or more
4.6.1. Suggestions for your submissions on units of 25 MW or less
5. ITEMS THAT ARE NOT COVERED BY THE REGULATIONS
5.1. Sector-Wide Emissions Cap
6.1. Suggestions for your submissions about the 20-year EoPL
6.2 Suggestions for your submissions on extending the 1 January 2025 deadline
6.3. Suggestions for your submissions on the emissions intensity standard
6.4 Suggestions for your submissions on offsets
6.5 Suggestions for your submissions on cogeneration units
6.6 Suggestions for your submissions on the pooling of units
6.7 Suggestions for your submissions on a unit-specific emissions limit on peaker plants
6.8 Suggestions for your submissions on the emergencies exemption
8. ACRONYMS
AESO – Alberta Electric System Operator
BESS – Battery Energy Storage System
CEPA – Canadian Environmental Protection Act
CERs – Clean Electricity Regulations
CO2 – carbon dioxide
CO2e – carbon dioxide equivalent
ECCC – Environment and Climate Change Canada
EoPL – End of Prescribed Life
GHG – greenhouse gas
GWh – Gigawatt hour
IESO – Ontario’s Independent Electric System Operator
MW – Megawatt
OBPS – Output-Based Pricing System
RIAS – Regulatory Impact Analysis Statement
t/GWh – tonnes (of carbon dioxide-equivalent – or “CO2e”) GHG emissions) per Gigawatt hour
Citations