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<br />however, mean th~t any of the CRSP resource would <br />necessarily be sold to UP&L, since neither UP&L <br /> <br />, <br />nor the cities, counties, and towns that have <br />applied for power through UP&L are eligible for a <br />first priority to CRSP electricity under the <br />cri teria. <br /> <br />Western believes that there is some merit in <br />comments by wholesale utilities on the use of <br />objectives relating to identification of power <br />costs by consumers as allocation criteria. Since <br />the objectives in question can be served through <br />appropriate contractual language, Western is <br />proposing to eliminate the special requirements <br />for wholesale utilities as allocation criteria <br />effective prior,to the signing of a contract. <br />Rather, Western will develop contractual language, <br />to be used with,both wholesale utilities and <br />retail utilities, to achieve the goal of informing <br />. the consumer of'the source and cost of various <br />components of power supply. While the existing <br />principles contained in the resale contractual <br />article will very likely be part of this new <br />language, emphasis will be placed on providing <br />information to the power consumer in accordance <br />with flexible but objectively defined standards. <br /> <br />74 <br />