2) At the bottom of the first page it contains the caveat ‘The payment of infringement notices does not constitute an admission of liability by Stanwell’.
Paul was one of the founders of Global-Roam in February 2000. He is currently the CEO of the company and the principal author of WattClarity. Writing for WattClarity has become a natural extension of his work in understanding the electricity market, enabling him to lead the team in developing better software for clients.
Before co-founding the company, Paul worked as a Mechanical Engineer for the Queensland Electricity Commission in the early 1990s. He also gained international experience in Japan, the United States, Canada, the UK, and Argentina as part of his ES Cornwall Memorial Scholarship.
AEMO has determined that it is necessary to suspend the spot market in all regions under NER clause 3.14.3(s)3) because it has become impossible to operate the spot market in accordance with the provisions of the Rules.
A timeline of evolving expectations for the cost, benefits, and delivery dates for Project Energy Connect – following news of recent issues surrounding the project.
Two weeks after the AER published its updated Compliance Bulletin (and Compliance Checklist) for Semi-Scheduled units, we’ve finally found time to note about it.
On Tuesday 21st December 2021 the AER requested the AEMC to consider changing the prescriptive requirements in the Rules for the AER to analyse particular types of market outcomes in particular ways, and instead provide the AER more flexibility in what its analysis covers.
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