![]() ![]() Allows for electricity or bill credits to be allocated through a municipal load aggregation program established pursuant to M.G.L.Creation of a Pollinator Adder which provides an additional $0.0025/kWh incentive to Pollinator-Friendly projects subject to certain qualifications and.Projects are required to demonstrate that no more than two participants will receive net metering credits in excess of those produced annually by 25 kW of nameplate capacity, and the combined share of said participants’ capacity shall not exceed 50 percent of the total capacity of the Generation Unit. ![]() #Ken simms smart utility fullFive percent of full capacity blocks are set-aside for Low-Income projects.The Greenfield Subtractor, a disincentive which is applied to the Base Compensation Rate of facilities sited on certain open spaces, is increased by 2.5x.Twenty percent of capacity blocks are set-aside for mid-size projects (greater than 25 kW and less than or equal to 500 kW).Projects greater than 5 MWs must be co-located with an Energy Storage System.Program size doubled from 1,600 MWs to 3,200 MWs.Following that review, on July 24, 2020, DOER promulgated revised SMART Regulations which include the following key changes: The DPU approved the model SMART Tariff in September 2018.Īs required by the SMART regulations, DOER conducted a review of the incentive rates and total SMART Program costs once 400 MWs of solar capacity had qualified for inclusion in the program (225 C.M.R. The EDCs filed a model SMART Tariff with the DPU in September 2017. Each EDC has established blocks of capacity with Base Compensation Rates that decline between each block. This total capacity is divided among the state’s three investor-owned EDCs. 20.00) that created the SMART Program with a program size of 1,600 MWs of capacity. In 2017, the Massachusetts Department of Energy Resource (“DOER”) initially promulgated the regulations ( 225 C.M.R. The SMART Program is a ground-breaking solar energy incentive program with a declining block grant incentive structure, which is paid out based on the amount of energy generated by qualified Solar Tariff Generation Units (“STGUs”). ![]() These changes potentially could include the introduction of a version of net crediting (consolidated billing) for some community solar projects under the SMART Program. Phase II focuses on certain other proposed changes to the SMART Program. The revised tariff will implement changes in the revised SMART regulations promulgated by the Massachusetts Department of Energy Resource (“DOER”) in 2020. Phase I focuses on development and approval of a revised model SMART Tariff by the electric distribution companies (“EDCs”). Both phases of the proceeding warrant attention from the solar industry. Phase I of the bifurcated Massachusetts Department of Public Utilities (“DPU”) proceeding on potential revisions to the Solar Massachusetts Renewable Target (“SMART”) Program is nearing its conclusion, while Phase II is likely to continue into 2022. ![]()
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