The RPS mechanism generally places an obligation on electricity supply companies to produce a specified fraction of their electricity from renewable energy sources. Certified renewable energy generators earn certificates for every unit of electricity they produce and can sell these along with their electricity to supply companies. Supply companies then pass the certificates to some form of regulatory body to demonstrate their compliance with their regulatory obligations. Because it is a market mandate, the RPS relies almost entirely on the private market for its implementation. Unlike feed-in tariffs which guarantee purchase of all renewable energy regardless of cost, RPS programs tend to allow more price competition between different types of renewable energy, but can be limited in competition through eligibility and multipliers for RPS programs. Those supporting the adoption of RPS mechanisms claim that market implementation will result in competition, efficiency and innovation that will deliver renewable energy at the lowest possible cost, allowing renewable energy to compete with cheaper fossil fuel energy sources.
RPS-type mechanisms have been adopted in several countries, including Britain, Italy, Poland, Sweden, Belgium, and Chile, as well as in 30 of 50 U.S. states, including the District of Columbia. Regulations vary from state to state, and there is no federal policy. Together these thirty states account for more than 42 percent of the electricity sales in the United States.
RPS mechanisms have tended to be most successful in stimulating new renewable energy capacity in the United States where they have been used in combination with federal Production Tax Credits (PTC). In periods, where PTC have been withdrawn the RPS alone has often proven to be insufficient stimulus to incentivise large volumes of capacity.
The Edison Electric Institute, a trade association for America’s investor-owned utilities, has taken a stand against a nationwide RPS, saying it would “raise consumers’ electricity prices and create inequities among states.”
In 2009, the US Congress has been considering Federal level RPS requirements. The "American Clean Energy Leadership Act" reported out of committee in July by the Senate Committee on Energy & Natural Resources includes a Renewable Electricity Standard that calls for 3% of U.S. electrical generation to come from non-hydro renewables by 2011–2013.
In a 2011 report published by the Union of Concerned Scientists, Doug Koplow said:
Nuclear power should not be eligible for inclusion in a renewable portfolio standard. Nuclear power is an established, mature technology with a long history of government support. Furthermore, nuclear plants are unique in their potential to cause catastrophic damage (due to accidents, sabotage, or terrorism); to produce very long-lived radioactive wastes; and to exacerbate nuclear proliferation.
! State | ! Amount | ! Year | ! Notes | ||||||||
Arizona | 15% | 2025 | Of this percentage, 30% (i.e. 4.5% of total retail sales in 2025) must come from distributed renewable (DR) resources by 2012 and thereafter. One-half of the distributed renewable energy requirement must come from residential applications and the remaining one-half from nonresidential, non-utility applications. | ||||||||
California | 20% (33%) | 2010 (2020) | |||||||||
Colorado | 30% | 2020 | Electric cooperatives: 10% by 2020 | Municipal utilities serving more than 40,000 customers: 10% by 2020 | |||||||
Connecticut | 27% | 2020 | |||||||||
District of Columbia | 20.4% | 2020 | RECs retain a three-year trading lifetime from their generation date before they must be retired. | ||||||||
Delaware | 25% | 2025 | Suppliers will receive 300% credit toward RPS compliance for in-state customer-sited photovoltaic generation and fuel cells using renewable fuels that are installed on or before December 31, 2014. | ||||||||
Hawaii | 40% | 2030 | HB 1464, signed by the governor in June 2009, increased the amount of renewable electrical energy generation required by utilities to 40% by 2030. | ||||||||
Iowa | 105 MW | 1999 | |||||||||
Illinois | 25% | 2025 | |||||||||
Kansas | 20% | 2020 | 10% by 2010, 15% by 2019 | ||||||||
Massachusetts | 15% | 2020 | Rises by 1% per year until revised by the legislature. | ||||||||
Maryland | 20% | 2022 | |||||||||
Maine | 10% (new renewable resources; existing RPS is 30% and has been since 2000) | 2017 (increasing 1% every year for 10 years, until reaching 10% by 2017) | |||||||||
Michigan | 10% | 2015 | Detroit Edison: 300 MW of new renewables by 2013 and 600 MW by 2015 | Consumers Energy: 200 MW of new renewables by 2013 and 500 MW by 2015 | |||||||
Minnesota | 25% | 2025 | Xcel Energy has its own individual standard: 30% by 31 December 2020. | ||||||||
Missouri | 15% | 2020 | In Nov. 2008 Missouri passed Proposition C, requiring the state's 3 largest utilities to generate or | purchase at least 15% of their energy from renewable sources by 2021. | |||||||
Montana | 15% | 2015 | For compliance year 2011 through compliance year 2014, public utilities (not applicable to competitive suppliers) must purchase both the renewable-energy credits (RECs) and the electricity output from community renewable-energy projects totaling at least 50 MW in nameplate capacity. | ||||||||
New Hampshire | 23.8% | 2025 | |||||||||
New Jersey | 22.5% | 2021 | Alternate Compliance Credits (ACP) and Solar ACPs (SACP) can be purchased by | retailers and used as RECs and Solar RECs. Starting on June 1, 2008, SACPs will | be set according to the following schedule ($/MWh) decreasing by 3% per year | until 2016: June 1, 2008 - May 31, 2009, $711; June 1, 2009 - May 31, 2010, | $693; June 1, 2010 - May 31, 2011, $675; June 1, 2011 - May 31, 2012, $658; | June 1, 2012 - May 31, 2013, $641; June 1, 2013 - May 31, 2014, $625; June | 1, 2014 - May 31, 2015, $609; June 1, 2015 - May 31, 2016, $594. After May | 31, 2016, the BPU will review the SACP annually in consultation with an advisory | committee. . |
New Mexico | 20% | 2020 | Rural electric cooperatives: 10% by 2020 | ||||||||
Nevada | 25% | 2025 | 5% solar | ||||||||
New York | 30% | 2015 | |||||||||
North Carolina | 12.5% | 2021 | |||||||||
Ohio | 12.5% | 2025 | Additional 12.5% from alternative sources | ||||||||
Oklahoma | 15% | 2015 | Signed May 27, 2010 | ||||||||
Oregon | 25% | 2025 | |||||||||
Pennsylvania | 18% | 2020 | 0.5% solar | ||||||||
Rhode Island | 15% | 2020 | |||||||||
South Dakota | 10% | 2015 | Compliance is not mandatory | ||||||||
Texas | 5,880 MW | 2015 | |||||||||
Utah | 20% | 2025 | Voluntary | ||||||||
Vermont | 10% | 2013 | Voluntary | ||||||||
Virginia | 12% | 2022 | Voluntary | ||||||||
Washington | 15% | 2020 | |||||||||
West Virginia | 25% | 2025 | WV's standard is an alternative energy standard, which permits fulfillment through nonrenewable sources | ||||||||
Wisconsin | 10% | 2015 |
The Nevada RPS includes double goal. The 2001 revision requires that at least 5 percent of the renewable energy projects must generate electricity from solar energy.
In June 2005, the Nevada legislature passed a bill during a special legislative session that modified the Nevada RPS (Assembly Bill 03). The bill extends the deadline and raised the requirements of the RPS to 20 percent of sales by 2015.
FloridaOn Friday January 9, 2009 the Florida Public Service Commission unanimously agreed to require the state's utilities to generate 20 percent of their power from renewable resources by 2020. This is still not law until the legislature approves. This will drastically change the landscape for renewable energy applications for a state that gets less than 3 percent of its power from renewable energy. The proposal calls for 7 percent renewable energy by January 2013, 12 percent by 2016, 18 percent by 2019 and 20 percent by end of 2020.
Category:Renewable energy policy Category:Renewable electricity Category:Energy policy Category:Renewable-energy law
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