| 15-E-0302 | IPPNY Comments on the Implementation of a Large-Scale Renewable Program | August 12, 2015 | 
            | 15-E-0302 | Reply Comments on the Implementation of a Large-Scale Renewable Program | September 14, 2015 | 
            | 15-E-0302 | IPPNY Comments on the Implementation of LSR Program and Clean Energy Standard | April 22, 2016 | 
            | 15-E-0302 | IPPNY Reply Comments on Implementation of CES | May 13, 2016 | 
            | ER17-386-000 | IPPNY DCR Comments & Limited Protest | December 9, 2016 | 
            |  | IPPNY DCR Answer 12-23-16 | December 23, 2016 | 
            |  | IPPNY DCR Answer 1-10-17 | January 10, 2017 | 
            |  | IPPNY Demand Curve Reset Request for Rehearing | February 16, 2017 | 
            |  | IPPNY Rehearing Request of FERC Order Exempting SCRs from BSM Measures | March 6, 2017 | 
            | 17-G-0011 | Request for Extension of Time to File Comments in Case 17-G-0011 | April 10, 2017 | 
            |  | IPPNY Comments to FERC Regarding State Policies and Wholesale Markets | April 28, 2017 | 
            |  | Post-FERC Technical Conference Comments Regarding State Policies and Wholesale Markets | June 22, 2017 | 
            |  | IPPNY Comments on Probabilistic Locality Exchange Factor | July 18, 2017 | 
            |  | IPPNY Comments on Analysis Group Performance Assurance Report | October 16, 2017 | 
            |  | Joint Comments with NEPGA Regarding DOE NOPR | October 23, 2017 | 
            |  | IPPNY Comments to NYISO on Integrating Public Policy | November 8, 2017 | 
            |  | IPPNY Proposal for Integrating Carbon Pricing into the Wholesale Market | November 30, 2017 | 
            |  | IPPNY Answer in Support of Entergy Request for Clarification or Rehearing re. NYISO Market Power Review of Generator Deactivations | January 2, 2018 | 
            |  | IPPNY Comments to FERC Regarding Import of PJM External Capacity Over Linden VFT into NYISO Zone J | February 23, 2018 | 
            |  | IPPNY Answer to Respondents Regarding Import of PJM External Capacity Over Linden VFT into NYISO Zone J | March 16, 2018 | 
            |  | IPPNY Motion in Opposition to Appeal of February 28, 2018 Management Committee Decision to Reject NYISO On Ramp/Off Ramp Proposal for Creating/Eliminating Capacity Zones | March 21, 2018 | 
            |  | IPPNY Comments on NYISO Master Plan | May 25, 2018 | 
            |  | IPPNY Comments on Offshore Wind Policy Options Paper | June 4, 2018 | 
            |  | IPPNY Protest of NYISO Timeline for Conducting Market Power Review of Deactivating Generators | June 13, 2018 | 
            |  | IPPNY & Multiple Intervenors Joint Petition Requesting NYPSC Prospectively Address Double Payment for Same Attribute | July 9, 2018 | 
            |  | IPPNY Linden VFT Complaint | July 31, 2018 | 
            |  | IPPNY Linden VFT Answer | September 5, 2018 | 
            |  | IPPNY Comments on New York State Energy Storage Roadmap | September 10, 2018 | 
            |  | IPPNY Comments on CPV Valley ASF Permit | October 5, 2018 | 
            |  | Comments in Support of Expedited Zone J Operating Reserves | January 8, 2019 | 
            |  | Comments on 2018 Proposed Public Policy Transmission Needs | January 18, 2019 | 
            |  | IPPNY Comments on FERC Order 841 NYISO Compliance Filing | February 7, 2019 | 
            |  | IPPNY Comments on NYISO Class Year Waiver | February 9, 2019 | 
            |  | IPPNY Answer to Comments on FERC Order 841 NYISO Compliance Filing | February 27, 2019 | 
            |  | IPPNY Response to AWEA/ACENY Petition Requesting Index REC Procurement for Clean Energy Standard Tier 1 Resources | April 15, 2019 | 
            |  | IPPNY Protest of NYISO’s Response Regarding Application of BSM Rules to Resources 2 MW or Less | May 22, 2019 | 
            |  | IPPNY Comments on NYISO Grid in Transition Whitepaper | July 1, 2019 | 
            |  | IPPNY Comments on PJM TOs Border Rate – Linden VFT | July 19, 2019 | 
            |  | IPPNY/EPSA Joint Answer to NYISO Motion Requesting FERC Order on Proposed Renewables Exemption from Buyer-side Mitigation | August 5, 2019 | 
            |  | IPPNY Answer to Protest & Comments on NYISO DER Participation Model Filing | August 9, 2019 | 
            |  | IPPNY Protest of PSC/NYSERDA Complaint Requesting Exemption from NYISO Buyer-side Mitigation for Energy Storage | August 19, 2019 | 
            | 15-E-0302 | IPPNY Response to NYPSC Notice Soliciting Comments on AWEA/ACENY Petition Seeking Index REC Procurement for Tier 1 Solicitations” – October 2, 2019 (CASE 15-E-0302) | October 2, 2019 | 
            | EL19-86-000 | IPPNY Answer to Answer of NYPSC & NYSERDA Re. Complaint Requesting Exemption from NYISO Buyer-side Mitigation for Energy Storage (Docket No. EL19-86-000) | October 21, 2019 | 
            |  | Comments Opposing TOs Proposal to Extend Collaring Mechanism to Next Demand Curves | November 7, 2019 | 
            | 19-E-0530 | Comments on PSC Resource Adequacy Proceeding | November 8, 2019 | 
            | 19-E-0530 | IPPNY Reply Comments in PSC Resource Adequacy Proceeding (Case 19-E-0530) | January 31, 2020 | 
            | EL16-92-002 | IPPNY Protest of NYISO Special Case Resource Compliance Plan (Docket No. EL16-92-002) | April 1, 2020 | 
            |  | IPPNY Comments on & Limited Protest of NYISO BSM Renewables Exemption Compliance Filing | April 28, 2020 | 
            |  | IPPNY BSM Renewables Exemption Answer | May 13, 2020 | 
            |  | IPPNY Comments on & Protest of NYISO BSM Part A Exemption Test Filing | May 21, 2020 | 
            | EL16-92-001 | IPPNY Reply to Special Case Resource Paper Hearing (Docket No. EL16-92-001) | June 29, 2020 | 
            |  | IPPNY Comments on 2020 Demand Curve Reset Initial Draft Report | July 1, 2020 | 
            |  | IPPNY Questions on Brattle Analyses | August 4, 2020 | 
            |  | IPPNY Resource Adequacy Comments on Brattle Analyses | August 21, 2020 | 
            |  | IPPNY Comments on NYISO Staff Demand Curve Reset Draft Recommendations | August 24, 2020 | 
            |  | IPPNY Comments on Clean Energy Standard White Paper | August 31, 2020 | 
            |  | IPPNY Comments on NYISO Staff Demand Curve Reset (“DCR”) Recommendations | October 9, 2020 | 
            | 15-E-0302 | IPPNY Request for Clarification of Clean Energy Standard Order | November 16, 2020 | 
            | AD20-14-000 | Comments on FERC Carbon Pricing Policy Statement (Docket No. AD20-14-000) | November 16, 2020 | 
            | EL21-7-000 | IPPNY Comments in Response to Crickey Valley & Empire Generating 206 Complaint (Docket No. EL21-7-000) | November 18, 2020 | 
            |  | IPPNY Comments on DEC Guidance Document, “Establishing a Value of Carbon: Guidelines for Use by State Agencies” | November 25, 2020 | 
            |  | IPPNY and ACE-NY Comments on Joint Utilities’ Energy Storage Proposal | November 25, 2020 | 
            |  | IPPNY Comments on Draft Siting Rule and Uniform Standards and Conditions | December 7, 2020 | 
            |  | IPPNY Comments on Draft Host Community Benefit Proposal | December 7, 2020 | 
            | ER21-502-000 | Protest & Comments in Response to NYISO Demand Curve Reset Filing (Docket No. ER21-502-000) | December 21, 2020 | 
            | ER21-502-000 | IPPNY Answer to Protests & Comments of NYISO Demand Curve Reset Filing (Docket No. ER21-502-000) | January 6, 2021 | 
            |  | Letter in Support of Multiple Intervenors’ Request for a Quantitative Analysis of the Costs of CLCPA Compliance | January 20, 2021 | 
            |  | IPPNY Comments in Opposition to National Grid Petition | March 4, 2021 | 
            |  | IPPNY Comments in Response to UIU Protest of NYISO Operating Reserves Tariff Filing | March 15, 2021 | 
            |  | IPPNY Comments on CRIS Expiration Evaluation | April 1, 2021 | 
            |  | Rehearing Request of FERC’s Demand Curve Reset Order Requiring Modification to the Amortization Period | May 10, 2021 | 
            |  | IPPNY Comments on Buyer-Side Mitigation (“BSM”) Reform and Capacity Accreditation Considerations | June 30, 2021 | 
            |  | IPPNY Comments on NYISO's TSA Reform Process | July 20, 2021 |