Contact
Lisa O'Hara (lo'hara@idahopower.com)
Idaho Power appreciates the opportunity to provide comments on the draft tariff language for the Penalty Enhancements - Demand Response, Investigation, and Tolling initiative. Idaho Power offers suggested revisions to Sections 37.5.2.1.1 and 37.5.2.2.4 as both redlines and in a comment that we believe provide clarity and are consistent with the proposed intent of this initiative. Idaho Power appreciates the CAISO's work on this proposal and its effort in revising its tariff to ensure that meter data penalties are proportionate to the violation.
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