Announcements

With the approaching end of the Renewables Portfolio Standard (RPS) Compliance Period (CP) 4 (2021-2024), California Energy Commission (CEC) staff are providing a courtesy reminder of some of the reporting and compliance requirements. POUs are responsible for meeting all RPS procurement, compliance, and reporting requirements, as detailed in the RPS Eligibility Guidebook, Ninth Edition (Revised) (RPS Guidebook) and the Modifications of Regulations Specifying Enforcement Procedures for the Renewables Portfolio Standard for Local Publicly Owned Electric Utilities (RPS POU Regulations). 

Annual Reporting Requirement 

Annual reporting requirements are due the first weekday of July. Please make sure all the following documents, if required for WREGIS claims, have been submitted to the RPS Online System. Without these documents, the Verification and Compliance team are unable to complete the analysis and reports for CP 4. For guidance and instructions on the documents required, please refer to the RPS – Verification and Compliance page.

YearReport
2021 - 2024Annual Summary Report
2021 - 2024WREGIS Report
2021 -2024Newly executed and amended POU Contracts
2021 - 2024WREGIS CA e-Tag Report (POUs with non-CBA PCC 1 or 2 claims)
2021 - 2024CEC Schedule 3 e-Tag Report (POUs with non-CBA PCC 1 or 2 claims not tracked in WREGIS)
2021 - 2024CEC Schedule 4 Hourly Report (POUs with non-CBA PCC 1 claims)

Long Term Contract Requirement 

Pursuant to Public Utilities (PUC) Code Section 399.13(b), CP 4, and subsequent CPs, includes a Long-Term Procurement Requirement requiring that 65% of an LSE’s RPS procurement shall be from long-term procurement. Long-term procurement refers to procurement from long-term contracts, ownership, or ownership agreements, as specified in Section 3204(d) of the RPS POU Regulations and further discussed in the Regulatory Advisory RPS POU 2022-09-21

Optional Compliance Measures 

Each POU should ensure its Optional Compliance Measures (OCMs), listed in table below, are up-to-date and have been adopted at a noticed public meeting of the governing board of the POU prior to the end of CP 4, consistent with RPS POU Regulations Section 3205 and 3206. OCM rules adopted under RPS POU Regulations Section 3206 shall be in place and described in a POU’s renewable energy resources procurement plan or enforcement program for a given compliance period if the POU intends to rely on these rules to satisfy or delay its RPS procurement requirements.

Optional Compliance MeasureRelevant Code Section
Delay of Timely ComplianceRPS POU Regulations Sections 3205 (a)-(b), 3206 (a)(2), 3206 (b)-(e)
Cost LimitationRPS POU Regulations Sections 3205 (a)-(b), 3206(a)(3), 3206 (b)-(e)
Portfolio Balance ReductionRPS POU Regulations Sections 3205 (a)-(b), 3206 (a)(4), 3206 (b)-(d), 3206 (f)

If you have any questions for CEC staff regarding this announcement, please email [email protected].

Related Programs

Renewables Portfolio Standard - Certification

Learn about the RPS certification process, what resources are considered renewable, and how generating facilities can become RPS certified.

Renewables Portfolio Standard – Verification and Compliance

View RPS verification results for California’s load-serving entities as well as the verification methodology used to make the determinations.

The RPS eligibility guidebook is the authority for facility certification requirements and generation reporting requirements. The guidebook is the primary resource to learn about RPS participation and overall program guidance. Please also refer to its corresponding RPS Resolution No. 17-0712-04Previous guidebook editions are also available.

The RPS program uses an online portal to interact with stakeholders. The portal is used for program involvement activities, including:

  • Viewing a public list of RPS facilities.
  • Applying for RPS certification of a facility.
  • Reporting generation claims to Energy Commission staff.

The processes and formulas that the Energy Commission staff uses to determine the eligibility and quality of renewable generation are in the Verification Methodology Report

The Energy Commission is responsible for verification and compliance of local publicly owned electric utilities (POU). Specific requirements are in the enforcement regulations.

Upcoming Events

No events are available at this time.