FERC Combined Notice of Filings 1 - April 2026 Electric Corporate, EWG, and Rate Filings
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The Federal Energy Regulatory Commission (FERC) published a combined notice on April 6, 2026 listing numerous electric corporate filings, exempt wholesale generator (EWG) self-certifications, and electric rate filings received between March 27 and April 1, 2026. The notice covers Section 203 applications for corporate transactions, notices of non-material changes in status or circumstances for various renewable and conventional generators, compliance filings, tariff amendments, and new market-based rate applications. Most filings have comment deadlines between April 17 and May 29, 2026. The documents relate primarily to PJM, SPP, MISO, Entergy, and various independent power producers and renewable energy projects across the United States.
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Key Changes
- Multiple notices of non-material change in status/circumstances filed by renewable and storage companies including Burgess BioPower, Dunns Bridge entities, and Alpha Generation
- New exempt wholesale generator self-certifications accepted for SR Quincy Valley LLC, Hornet Solar LLC, USS Hampden Solar LLC, and USS Tallgrass Solar LLC with comment date 4/21/26
- Numerous tariff amendments and rate filings with effective dates ranging from 1/5/2026 to 6/1/2026, including GIA amendments by PJM and SPP
+ 3 more changes with Pro
Obligations
What this law requires
Submit comments on Section 203 Joint Applications for Authorization under the Federal Power Act by the specified comment deadline (e.g., 5 p.m. ET on April 20 or May 29, 2026, depending on docket)
Exempt Wholesale Generator applicants must submit Notice of Self-Certification of EWG Status to FERC with required documentation and meet the applicable comment deadline (5 p.m. ET on April 21, 2026)
Entities filing market-based rate applications must submit initial rate filings with FERC and comply with the comment deadline of 5 p.m. ET on April 21, 2026
Entities must submit tariff amendments to RTO/ISO operators (PJM, Southwest Power Pool) with specified effective dates and meet FERC comment deadlines (5 p.m. ET on April 22, 2026)
Generators must submit Notices of Non-Material Changes in Status or Circumstances within required timeframes and meet FERC comment deadlines (ranging from April 17 to May 29, 2026)