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...
This submission responded to the Australian Energy Regulator’s (AER) draft price determination for Jemena Gas Network in NSW (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 responded to the Australian Energy Market Commission’s (AEMC) Consultation Paper for its 2015 Retail Competition Review (the Consultation...
This submission responded to the Australian Energy Market Commission’s (AEMC) draft rule determination, National Electricity Amendment (Distribution Network Pricing Arrangements)...
This submission responded to the Australian Energy Market Commission’s (AEMC) draft rule determination, National Electricity Amendment (Generator ramp rates and...
This joint letter from PIAC, the Alternative Technology Association and the Ethnic Communities Council of NSW supports amendment of the...
The development of Optional Firm Access (OFA) has a long history. The context in which the concept of OFA was...