Frequently Asked Questions
Energy Transition Program
Corporate Green Power Programme
CREAM
Is there a quota imposed for CREAM? If yes, what is timeline for the quota?
Can the electricity generated be supplied to the business or homeowners or businesses as per Clause 9.1. If yes, is there any licence necessary?
Are there any specific approval procedures, safety standards, and land allocation requirements for storage integration?
What is the space requirement for battery storage?
Could we clarify whether the grid interconnection point is before or after the meter?
Can the electricity generated be supplied to the business or homeowners? If yes, is there any licence necessary?
CRESS
Is there a Limit/Minimum Tenure with Bilateral Energy Supply Agreement?
Referring to Clause 6.14(b) of the CRESS Guidelines outlines "EUC will issue an electricity bill to the Green Consumer for every billing cycle period, being: (a) the period beginning on the Commencement Date and ending on the date on which the first bill is issued by EUC to the Green Consumer, following the occurrence of such Commencement Date; (b) each one (1) month period thereafter during the term of the CRESA between EUC and Green Consumer; and (c) the period beginning from the date following the last date of the immediate preceding bill and ending on the date the CRESA between EUC and Green Consumer expires in accordance with its terms.
i. Are there any restrictions to Bilateral Energy Supply Contracts between RED and Green Consumer having term extensions?
ii. Can extensions of term be reflected on a like-for-like basis in the other key contracts, such as the CRESA between Green Consumer and TNB?
iii. Would the CRESA be similar to the Electricity Supply Agreement TNB has with large power consumers, or in a reduced and simplified form?
Our understanding is that the final amount billed by the REC to the Green Consumer (quantity, rate, terms) is only subject to commercial terms agreed in the Bilateral Energy Supply Contract. Do TNB / SB / CRESS in general have any additional restrictions or requirements on final billing that could supersede the Bilateral Energy Supply Contract?