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NEA response to Defra’s consultation on a new strategic policy statement for Ofwat
Post on 24th Sep 2021
NEA is pleased to respond to this open consultation on a new Strategic Policy Statement for Ofwat, providing our thoughts and suggested amendments on each of the following proposed priorities:
NEA response to BEIS ECO 4 Consultation
Post on 01st Sep 2021
NEA welcomes the extension and expansion of the ECO scheme until at least April 2026 and fully supports the consultation’s continued, critical focus on low-income and vulnerable households and greater support for deeper retrofits for the least energy efficient homes.
NEA response to BEIS Warm Home Discount Scheme 2022-26 Consultation
Post on 20th Aug 2021
NEA’s Response to the BEIS Consultation on the Warm Home Discount Scheme 2022-26.
Nation / Region: England
NEA’s response to Ofwat’s Payment, help and debt guidelines consultation, 2021
Post on 28th Jul 2021
NEA is pleased to respond to this open consultation on the proposed changes to the guidelines for water companies in supporting residential customers to pay their bill, access help and repay debts.
NEA response to Ofgem’s Forward Work Plan 2021-23
Post on 16th Feb 2021
NEA’s Response to the Ofgem Consultation on their Forward Work Programme 2021/23 Gas Levy. NEA believes that Ofgem should provide clarity on the actions they will take in the next year of their consumer vulnerability strategy.
NEA response to BEIS Consultation ‘Improving home energy performance through lenders’
Post on 08th Feb 2021
NEA’s Response to the BEIS Consultation on Improving home energy performance through lenders. While NEA agrees with the need to move towards Green Mortgages, there are significant risks to fuel poor households that need to be fully understood. These can be mitigated by a generous exemption mechanism.
NEA response to Ofgem VCMA Governance Drafting Consultation
Post on 29th Jan 2021
NEA’s response to the Ofgem VCMA Governance Drafting Consultation. NEA is supportive of the vulnerability and carbon monoxide allowance for gas networks. We believe for the allowance to create best value, it should have sufficient focus on supporting vulnerable customers, both in the make up of project portfolios and through addressing carbon monoxide. Additionally, we believe that all delivery partners must meet licence obligations to treat customers fairly.
NEA response to Ofgem FPNES Governance Drafting Consultation
Post on 29th Jan 2021
NEA’s Response to the Ofgem FPNES Governance Drafting Consultation. NEA fully supports the Fuel Poverty Network Extension Scheme, and is pleased that it will continue until 2026. In order for the scheme to reach its full potential, Ofgem must require installers to adhere to licence obligations around treating customers fairly, and give adequate advice to households.