Docket No. 22-42-NG Docket No. 22-42-NG - The Narragansett Electric Co. d/b/a Rhode Island Energy Issuance of Advisory Opinion to Energy Facility Siting Board Regarding The Narragansett Electric Co. Application to Construct LNG Vaporization Facility Public Utilities Commission (PUC): Procedural Schedule and Briefing Question Revised Procedural Schedule and Briefing Question (1/25/23) Second Revised Procedural Schedule (4/3/23) Notice of Hearing - Public comment on May 4, 2023 @ PUC's office. Evidentiary hearings May 8-9, 2023 Presiding Commissioner’s ruling on RI Energy’s Motion to Compel Responses to Data Requests (3/31/23) PUC Advisory Opinion (6/5/23) Energy Facility Siting Board (EFSB) - Designation to PUC to Render Advisory Opinion: Energy Facility Siting Board's (EFSB) Notice of Designation to the Public Utilities Commission (PUC) to render an advisory opinion to the EFSB on the need of the Narragansett Electric Co. proposal to operate a portable liquified natural gas (LNG) vaporization facility at Old Mill Lane in Portsmouth, Rhode Island which application is pending before the EFSB (Docket SB-2021-04) (10/19/22) The Narragansett Electric Co. (TNEC): Application and record pending before the EFSB for License to Construct and Alter Major Energy Facilities for the Aquidneck Island Gas Reliability Project (Updated) and Siting Report entitled "Aquidneck Island gas Reliability Project Old Mill Lane, Portsmouth, RI" including Figures and Appendices TNEC Prefiled Testimony before the PUC - Transmittal Letter (12/9/22) Prefiled testimony of Jeffrey Montigny Prefiled testimony of Julie Porcaro Prefiled testimony of Brian Kirkwood Prefiled testimony of Tyler Olney Prefiled testimony of Stephanie Briggs (3/13/23) Prefiled Rebuttal Testimony of Company witnesses Julie M. Porcaro, Brian K. Kirkwood, Brett S. Feldman, Stuart A. Wilson, and Tyler Olney. (4/18/23) Objection to First Set of Data Requests Issued by Division & Motion to Extend Response Time Omnibus Response to Data Request Objections and Motion to Compel Responses (3/23/23) Objection to Question 3-12 of Data Requests Set 3 Issued by the Division (3/27/23) Response of TNEC to Briefing Question of the PUC (3/28/23) Responses to Data Requests: Responses to Division Data Request Set 1 (1/24/23) Responses to Division Data Requests Set 2 (3/8/23) Responses to Division Data Requests Set 3 - Redacted (4-5-23) Attachment 3-12a (Docket 5120 - Response to PUC 2-22) Attachment 3-12b (Docket 5210 - Response to Record Request 13) Responses to Division Data Requests Set 4 (5/3/23) Responses to PUC Data Request Set 1 (1/26/23) Responses to PUC Data Requests Set 2 (4/17/23) Responses to PUC Data Requests Set 3 (4/21/23) Responses to Town of Middletown Data Request Set 1 (1/27/23) Responses to Town of Middletown's Data Request Set 2 (2/1/23) Responses to Town of Middletown's Data Request Set 3 (2/23/23) Responses to Conservation Law Foundation (CLF) Data Request Set 1 (2/3/23) Responses to CLF Data Requests Set 2 (4/19/23) Response to Division of Statewide Planning Data Request Set 1 (2/17/23) Responses to Record Requests: Response to PUC Record Requests of May 8, 2023 (5/19/23) Division of Public Utilities and Carriers (Division): Direct Testimony of Bruce R. Oliver and Paul Roberti (3/13/23) Attachment DIV-1 - CV of Bruce R. Oliver of Revilo Hill Associates, Inc. Surrebuttal Testimony of Bruce R. Oliver and Paul Roberti (5/2/23) CV of Paul Roberti Motion Objecting to RI Energy's First Set of Data Requests directed to the Division and the Division's Responses and Objections to RI Energy's First Set of Data Requests. (3/13/23) Division's Brief in Response to PUC's Briefing Question (4/5/23) Town of Portsmouth: Town of Portsmouth's Motion to Intervene (12/1/22) Objection to RI Energy's First Set of Data Requests directed to the Town of Portsmouth (3/13/23) Town of Middletown: Town of Middletown's Motion to Intervene (12/1/22) Testimony of Jeffrey Loiter on Behalf of the Town of Middletown (3/13/23) CV of Jeffrey Loiter Surrebuttal Testimony of Jeffrey Loiter (5/2/23) Town of Middletown's Responses to RI Energy's First Set of Data Requests (3/17/23) Conservation Law Foundation (CLF): Conservation Law Foundation's Motion to Intervene (CLF) (12/14/22) Testimony of Earnest White of Energy Futures Group on Behalf of CLF (3/13/23) Attachment - CV of Earnest White CLF's Responses to RI Energy's First Set of Data Requests (3/17/23) RI Dept. of Attorney General (RIAG): Attorney General for the State of RI's Motion to Intervene (12/1/22) Objection to RI Energy's First Set of Data Requests directed to the RI Attorney General and Responses to RI Energy's Data Requests Set 1 (3/13/23) Position Statement of the Attorney General of the State of RI (3/13/23) RIAG's Memorandum of Law in Response to PUC Briefing Question (4/5/23) Acadia Center: Acadia Center's Motion to Intervene (11/30/22) Acadia Center's Withdrawal of Intervention (2/24/23)