Docket Log

Docket: 25-BSTD-02
Project Title: 2025 Energy Code Photovoltaic and Battery Storage Cost-Effectiveness Determinations
Generated On: 7/6/2025 1:59:09 PM

Include:     
TN #Docketed DateDocument TitleExhibit #ToFrom
2642456/16/2025 June 11, 2025 Business Meeting Order for Trinity PUD
The CEC has considered staff’s analysis, the Executive Director’s recommendation, all written comments submitted, oral comments made at June 11, 2025 business meeting, and CEC staff’s responses to all comments on this matter and orders that PV and Battery energy storage requirements would not apply to new construction buildings under Trinity PUD.
Efficiency
5 page(s)
 CEC/Docket UnitCalifornia Energy Commission
2633945/27/2025 Trinity Public Utility District - 2025 Energy Code Solar Photovoltaic Cost Effectiveness Analysis Staff Report
*** THIS DOCUMENT SUPERSEDES TN 263060 *** This corrected Staff Report amends the first paragraph of the Executive Summary, replacing the reference in the 2025 Energy Code to the solar photovoltaic (PV) requirements in single-family buildings, and adding references to the battery energy storage system (BESS) requirements.
22 page(s)
 CEC/Docket UnitCalifornia Energy Commission
2630785/13/2025 Trinity Public Utility District_2025 PV Cost Effectiveness Staff Report_ Notice of Public Comments
The CEC seeks public comments on the updated cost-effectiveness analysis of the 2025 Energy Code solar photovoltaic requirements for Trinity Public Utility District, and recommendation for CEC determination discussed in the "2025 Energy Code Solar Photovoltaic Cost-Effectiveness Analysis for Trinity Public Utility District,” which is available for review and comment in the 25-BSTD-02
Efficiency
4 page(s)
 CEC/Docket UnitCalifornia Energy Commission
2630605/12/2025 2025 Energy Code Solar Photovoltaic Cost-Effectiveness Analysis for Trinity Public Utility District
In this report, CEC staff has evaluated Trinity PUD’s current residential and nonresidential rate structures and found that the 2025 Energy Code solar photovoltaic requirements are not cost-effective for newly constructed buildings in the Trinity PUD service area. Based on this analysis, CEC staff recommends that the CEC determine that the CEC’s cost-effectiveness conclusions in the 2025 Energy Code solar photovoltaic and battery energy storage system requirements do not hold for Trinity PUD and, therefore, do not apply in Trinity PUD’s service area.
Efficiency
22 page(s)
 CEC/Docket UnitCalifornia Energy Commission
2628644/30/2025 Memo to Open New Docket

2 page(s)
 CEC/Docket UnitCalifornia Energy Commission