WaterPower Canada’s submission in response to CEAC’s discussion guide questions (issued 2023-12-07)
WaterPower Canada (WPC) is pleased to provide its response to the questions raised in the Canadian Electricity Advisory Council’s (CEAC’s) […]
WaterPower Canada (WPC) is pleased to provide its response to the questions raised in the Canadian Electricity Advisory Council’s (CEAC’s) […]
The Fuel Life Cycle Assessment model does not properly reflect the GHG emissions associated with hydropower. WPC has written to Environment and Climate Change Canada (ECCC), to call for a review and amendment to this model.
Measures to offset harmful impacts to fish and fish habitat must be realistic while also ensuring consistency and predictability. WPC has provided Minister Lebouthillier with a series of recommendations on behalf of our hydropower industry.
This letter to Minister Guilbeault provides WaterPower Canada’s comments on the proposed Clean Electricity Regulations.
While there are many benefits to investment tax credits encouraging the growth of clean energy, the credit’s detailed design will limit their practical availability. WPC has provided Minister Freeland a series of recommendations on behalf of our hydropower industry.
WaterPower Canada is pleased to have the opportunity to provide input towards the draft Clean Technology Investment Tax Credit (Clean […]
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