Overall PIAC agrees with the AEMC’s new framework of separate provisions for a demand management incentive scheme (DMIS) and demand...
This submission responded to the Independent Pricing and Regulatory Tribunal’s (IPART) draft operating licence for Sydney Water Corporation (the draft...
The Public Interest Advocacy Centre’s (PIAC’s) overarching conclusion is that the governance of Australian Energy Markets is fragmented, overly complex,...
This submission focuses on Demand Management (DM) as an area of high priority for consumers and consumer advocates. The issue...
This submission responds to the Australian Energy Regulator’s (AER) Expenditure Incentives Guidelines Issues Paper, undertaken as part of The Better...
This submission responds to the Australian Energy Regulator’s (AER) Expenditure Forecast Assessment Guidelines Issues Paper. The development of the expenditure...
This submission responds to the Australian Energy Regulator’s (AER) Rate of Return Guideline Issues Paper. The development of the rate...
This submission responds to the Productivity Commission’s Draft Report, Electricity Network Regulatory Frameworks. Specifically the submission addresses four key areas,...
The development of the Water Industry Competition Act Draft Codes of Conduct for Transfer and Marketing is an essential step...
PIAC believes in the need for all not-for-profit organisations to be accountable to the government and the community. In its...