Details 2025-218
| 1 | 1. | | SA - Service Area | * E002, E290-SA-25-315 Xcel Energy, Owatonna Public Utilities
The Joint Request of Northern States Power Company and Owatonna Public Utilities to Modify Electric Service Territory Boundaries.
Should the Commission approve the permanent boundary change from Xcel Energy to Owatonna Public Utilities? (PUC: Noyce) | |
Not available
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Details 2025-215
| 1 | 2. | | D - Depreciation | * E015/D-24-324; Minnesota Power
E015/M-24-437
In the Matter of Minnesota Power’s Petition for Approval of 2024 Remaining Life Depreciation;
In the Matter of Minnesota Power’s Petition for Approval to Track and Defer Costs Resulting from The Legacy Coal Combustion Rule Surface Impoundment Rule.
1. Should the Commission approve Minnesota Power’s 2024 Remaining Life Depreciation Proposal?
2. Should the Commission approve Minnesota Power ‘s Proposal for Track and Defer Costs Resulting from The Legacy Coal Combustion Rule Surface Impoundment Rule? (PUC: Pham) | |
Not available
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Details 2025-216
| 1 | 3. | | M - Miscellaneous | * G004/M-25-200 Great Plains Natural Gas Co., a Division of Montana-Dakota Utilities Co.
In the Matter of Gas Utility Infrastructure Cost Adjustment Tariff 2025 Revenue Requirement and Revised Adjustment Factors
Should the Commission accept Great Plains Annual Report and Petition for Approval of Recovery for Gas Utility Infrastructure Costs and Revised Adjustment Factors for 2025? (PUC: Larson) | |
Not available
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Details 2025-217
| 1 | 4. | | M - Miscellaneous | * G004/M-25-243 Great Plains Natural Gas Co., a Division of Montana-Dakota Utilities Co.
In the Matter of Great Plains Natural Gas Company’s Petition for Approval of its 2025 Annual Depreciation Certification
Should the Commission approve Great Plains Natural Gas Company’s annual depreciation certification? (PUC: Larson) | |
Not available
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Details 2025-219
| 1 | 5. | | CI - Commission Initiated Investigation | ** E999/CI-19-704 All Electric Utilities
In the Matter of an Investigation into Self-Commitment and Self-Scheduling of Large Baseload Generation Facilities.
1. Have the utilities provided adequate information in the March 2024 and March 2025 compliance filings on self-commitment?
2. Should the utilities be required to provide additional information or take additional steps regarding self-commitment at this time?
3. Should the filing requirements for future years be modified?
(PUC: Manning, Andringa) | |
Not available
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