Resources Archive
NEI Letter to Sec. Granholm on Updated Need for High-Assay Low Enriched Uranium
If implemented, the Draft RFP would delay any compensation for providing clean electricity until an “At Risk Time Period” begins, which DEEP proposes would begin no sooner than June 2023. This approach is both unfounded and risks the loss of the large amount of clean energy Millstone provides.
Connecticut's PURA in Its Comments on the Connecticut's State Energy Agency's Draft RFP on the State's Clean Energy Program, notes the negative effects Millstone nuclear plant's premature closure would have.
In this letter, NRC staff said that its earlier letter had incorrectly implied that SFCP changes were a regulatory commitment.
NEI letter to the House Ways and Means Committee, dated Dec. 13, 2019, encouraging the inclusion of nuclear energy in the GREEN Act.
On December 3, 2020, NEI, in tandem with other energy associations, submitted a letter to a group of national organizations representing state and local government leaders asking to designate mission-essential energy sector workers as high priority for voluntary access to the COVID-19 vaccine.
The nuclear energy tax credits—Sections 45U, 45Y, 48C, and 48E—are essential tools to retain and grow our nuclear capacity. These provisions support the long-term viability of our existing fleet and incentivize the deployment of new nuclear technologies. Preserving these credits is critical to strengthening U.S. energy security, fostering economic growth, and bolstering our economic competitiveness.
On behalf of our members, NEI submitted comments in response to rulemaking addressing the clean hydrogen production credit established by the Inflation Reduction Act of 2022, expressing strong opposition to the incrementality requirement.
NEI and the undersigned companies jointly submit this response to the supplemental comments submitted by the Clean Air Task Force and Natural Resources Defense Council (“CATF/NRDC”) on April 10, 2023, concerning whether Treasury may impose a requirement (commonly referred to as the “additionality” requirement) that only new generation adding incremental capacity to the electric grid could be used to produce clean hydrogen for purposes of the Section 45V credit.
A letter to the U.S. Congress on actions to strengthen national, economic, and energy security by passing legislation to assist in establishing a secure nuclear fuel supply.
Response to the Request for Information Regarding the Establishment of a Program to Support the Availability of High-Assay Low-Enriched Uranium
Building the Domestic High-Assay Low Enriched Uranium Supply Chain: A National Imperative