Submission to Solar Sunshot Consultation
The Australian Government has committed $1 billion to the Solar Sunshot program, designed to commercialise Australian solar photovoltaic (PV) innovations domestically and enhance Australian solar manufacturing capacity.
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Submission on SA Power Networks Determination 2025–30
The Australian Energy Regulator sought submissions on their Issues Paper for SA Power Networks’ (SAPN) Electricity Distribution Determination 2025–30.
The CEC’s response analyses and proposes recommendations surrounding SAPN’s Consumer Energy Resources (CER) Integration Strategy within the Determination. This is supported by five business cases including, CER Integration, Network Visibility, CER Compliance, Demand Flexibility, and an Innovation Fund.
view DownloadLevelised Cost of Electricity Review
An independent report commissioned by the Clean Energy Council and conducted by Egis, a leading global consulting, construction and engineering firm, has confirmed that nuclear is the most expensive form of new energy in Australia.
view DownloadSubmission on draft South Australian Hydrogen and Renewable Energy Regulations
The South Australian Department of Mining and Energy sought views on draft regulations for the Hydrogen and Renewable Energy Act.
view DownloadSubmission on federal environmental law reform
The federal Department of Climate Change, Energy, Environment and Water sought submissions on draft policy and provisions on "nature positive" federal environmental law reform.
view DownloadSubmission on Energy and Electricity Sector Plan
The Australian government sought views on aspects of the energy transformation to achieve the 2030 emissions reduction target and net zero by 2050 while ensuring a reliable, secure and affordable energy supply.
view DownloadService Target Incentive Performance Scheme submission
We welcome the opportunity to comment on Issues Paper related to the Service Transmission Target Performance Incentive Scheme (STPIS). We agree that the market impact component (MIC) and network capability component (NCC) of the STPIS need to be reviewed. We also agree with AER’s analysis that indicates the MIC is not working as intended and the NCC is being under-utilised.
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