The current HB 2020 proposal gives free credits to Oregon’s electric utilities in recognition of prior legislatively mandated green initiatives. It treats the more than two million Oregon residents and businesses who rely on natural gas for warmth, comfort and productive energy differently, ignoring the strides that Oregon LDCs and their customers have made in reducing emissions through system maintenance, modernization, and efficiency initiatives.
HB 2020 as currently composed is punitive to Oregon’s natural gas customers and unfair. The state is already seeing emissions reductions from the transition to and increasing reliance on natural gas as a cleaner, reliable fuel for generating electricity. The state is also seeing significant emissions-related benefits by virtue of the highly efficient direct use of natural gas for residential and commercial space and water heat. All natural gas utility customers should receive a fair share of allowances to mitigate rate impacts.
To download the NWGA Cap and Trade Fact Sheet, click here.
NWGA’s Climate Action Principles
Climate change is an important issue. States and provinces across the Pacific Northwest are developing policies to address climate change by reducing greenhouse gas emissions (GHGs). Natural gas – a clean, low-cost and abundant energy resource – is already reducing GHGs across North America and the region. In short, Northwest Gas Association members (NWGA) are committed to addressing climate change and maintain that natural gas is a climate solution.
To download the NWGA Policy Principles for Climate Action, click here.