Submission to Hydrogen Blends and Renewable Gases Procedures Review
PIAC responded to the Department of Industry, Science, Energy and Resources Consultation Paper ‘Extending the national gas regulatory framework to hydrogen blends & renewable gases
PIAC responded to the Department of Industry, Science, Energy and Resources Consultation Paper ‘Extending the national gas regulatory framework to hydrogen blends & renewable gases
PIAC responded to the Australian Energy Regulator’s (AER) Options Paper, Default Market Offer prices: Options paper on the methodology to be adopted for the 2022-23
PIAC broadly supported the Draft Greater Sydney Water Strategy and the vital role it should have improving long-term, sustainable water planning and risk management for the community. PIAC highlighted a number of structural and
PIAC made a submission to the Australian Energy Regulator’s (AER) consultation on Essential Energy Cost Pass Through Application – Critical Infrastructure Licence Conditions, to strengthen
PIAC made a submission to the Australian Energy Regulator’s (AER) consultation on Essential Energy Cost Pass Through Application – 2019-20 Bushfires. We supported allowing Essential
PIAC responded to the Australian Energy Market Operator’s (AEMO) consultation on amendments to the Market Ancillary Service Specification (MASS). We supported the second draft determination to require a minimum
PIAC responded to the NSW Department of Planning, Industry and Environment consultation on Network Infrastructure Projects (Part 5 of the Electricity Infrastructure Investment Act 2020)
This submission concerns the National Disability Insurance Scheme Amendment (Participant Service Guarantee and Other Measures) Bill 2021, which was introduced to Parliament on 28 October
PIAC responded to the Independent Pricing and Regulatory Tribunal’s (IPART) Hunter Water Operating Licence Review: Issues Paper. PIAC broadly agreed with IPART’s preliminary positions and
PIAC responded to the Australian Energy market Operator’s (AEMO) consultation on calculating competition benefits in Integrated System Plan (ISP) analysis. We recommend against including competition
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