Published on: 21775547. IGS Solar, LLC; The Florida Public Service Commission issued a declaratory statement that: (1) IGS Solar’s proposed residential solar equipment lease, as described in its Petition, will not be deemed to constitute the sale of electricity; (2) IGS Solar will not be deemed a public utility under Florida law by virtue of leasing its residential solar equipment to residential consumer-lessees in Florida as described in its Petition; (3) Florida customer-lessees who enter into IGS Solar’s proposed residential solar equipment lease, as described in its Petition, will not be subject to the jurisdiction of, or regulation by, the Commission; and (4) Customer lessees will be allowed to become net metering customers if the customer-lessees meet the requirements of Rule 25-6.065, F.A.C.
Final Order No. PSC-2019-0144-DS-EQ was issued and filed on April 23, 2019, in Docket No. 20190040-EQ.
Published on: 21225557. from Tesla Inc., on December 3, 2018.; that Tesla Inc.’s leasing of solar electric equipment to residential lessees, pursuant to Tesla’s standard form SolarLease, does not constitute a sale of electricity; Tesla’s offering to lease solar electric equipment to residential electricity users will not cause Tesla to be deemed a public utility under Florida law; and the residential solar equipment lease described in the Tesla Petition will not subject either Tesla or Tesla’s customer-lessees to regulation by the Commission.
Docket No. 20180221-EQ.
Published on: 20468278. Vivint Solar Developer, LLC, on May 23, 2018.; The petition asks the Florida Public Service Commission to declare pursuant to Section 366.02, F.S., Rule 25-6.065, F.A.C., Order No. 17009, issued December 22, 1986, in Docket No. 860725-EU, and Order No. PSC-2018-0251-DS-EQ, issued May 17, 2018, in Docket No. 20170273-EQ, that Vivint Solar Developer, LLC’s proposed residential solar equipment lease does not constitute a sale of electricity; that Vivint Solar Developer, LLC will not be deemed a public utility under Florida law by virtue of leasing the residential solar equipment to residential consumer-lessees in Florida; and that Florida customer-lessees who enter into Vivint Solar Developer, LLC’s proposed residential solar lease equipment will not be subject to the jurisdiction of, or regulation by the Commission.
Docket No. 20180124-EQ.
Published on: 20437529. Sunrun Inc.; The Florida Public Service Commission issued a declaratory statement that: (1) Sunrun’s residential solar equipment lease as described in Sunrun’s Petition does not constitute a sale of electricity; (2) offering its solar equipment lease to customers in Florida as described in the Sunrun’s Petition will not cause Sunrun to be deemed a public utility under Florida law; and (3) the residential solar equipment lease described in Sunrun’s Petition will not subject Sunrun or Sunrun’s customer-lessees to regulation by the Florida Public Service Commission.
Final Order No. PSC-2018-0251-DS-EQ was issued and filed on May 17, 2018, in Docket No. 20170273-EQ.
Published on: 19918191. Sunrun, Inc., on December 29, 2017.; The petition asks the Florida Public Service Commission to declare pursuant to Section 366.02, F.S., Rule 25-6.065, F.A.C., and Order No. 17009, issued December 22, 1986, in Docket No. 860725-EU, that Sunrun Inc.’s residential solar equipment lease does not constitute a sale of electricity; that Sunrun Inc.’s solar equipment consumer leases do not cause Sunrun Inc. to be deemed a public utility under Florida law; and that residential solar lease equipment as described by Sunrun Inc. will not subject Sunrun Inc. to regulation by the Commission.
Docket No. 20170273-EQ.