2021 Integrated Resource Plan

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An Integrated Resource Plan (IRP) is a legal requirement that outlines a utility's generation changes to meet customer demands over time. OPPD prepares, files, and publishes an IRP every five years with the Western Area Power Administration (WAPA) as a result of OPPD’s long-term contract to receive hydroelectric power from WAPA.

Resource planning is an ongoing process at OPPD. By design, the integrated planning process evaluates low-cost supply and demand-side options to meet forecasted electrical demands for OPPD’s service territory. The planning process aligns OPPD’s resources with its Board’s strategic directives – policies designed to guide efforts to address current and future challenges, mitigate risks, pursue strategic opportunities, and optimize service to the District’s customer-owners (SD-9 is Resource Planning).

2021 OPPD Integrated Resource Plan, click to view


Virtual Presentation and Public Comment Period

OPPD's draft 2021 IRP was posted on this page on January 21, 2022, and public comments on the document were accepted through Feb. 20, 2022. The 2021 IRP comment period has concluded.

The public was invited to join us for a virtual presentation about the IRP on February 3. The meeting recording can be found by clicking here.



Stakeholder outreach and communication for the 2021 IRP closely aligns and was done in conjunction with OPPD’s Pathways to Decarbonization initiative. The Pathways to Decarbonization program looks at four specific areas of impact, including OPPD’s Energy Portfolio. The Energy Portfolio workstream resulted in a completed study and provided recommendations for meeting the 2050 goal of net zero carbon production and supports OPPD’s 2021 IRP. OPPD used the stakeholder process and results from the Energy Portfolio Pathways to Decarbonization study to inform its 2021 IRP filing.

Pathways to Decarbonization: Energy Portfolio was due December 2021

  • Due date is set by OPPD's Executive Leadership Team and Board of Directors

Five-year Integrated Resource Plan was due February 28, 2022

  • OPPD is legally required to submit a 5-year IRP to WAPA
  • Requirement outline by 10 Code of Federal Regulations 905 (10.CFR.905)
  • Is not a decision to add or retire assets

As OPPD transforms itself through a period of dynamic change, we understand that many of the assumptions that will be made in the 2021 IRP may continue to evolve over time as regulation, technology and customers’ preferences evolve. In light of this fluid environment, OPPD is committed to being vigilant in its planning efforts to not only make responsible choices financially, but to ensure the choices reflect the desires of our customers and the forward-looking view of OPPD leadership and board of directors.

An Integrated Resource Plan (IRP) is a legal requirement that outlines a utility's generation changes to meet customer demands over time. OPPD prepares, files, and publishes an IRP every five years with the Western Area Power Administration (WAPA) as a result of OPPD’s long-term contract to receive hydroelectric power from WAPA.

Resource planning is an ongoing process at OPPD. By design, the integrated planning process evaluates low-cost supply and demand-side options to meet forecasted electrical demands for OPPD’s service territory. The planning process aligns OPPD’s resources with its Board’s strategic directives – policies designed to guide efforts to address current and future challenges, mitigate risks, pursue strategic opportunities, and optimize service to the District’s customer-owners (SD-9 is Resource Planning).

2021 OPPD Integrated Resource Plan, click to view


Virtual Presentation and Public Comment Period

OPPD's draft 2021 IRP was posted on this page on January 21, 2022, and public comments on the document were accepted through Feb. 20, 2022. The 2021 IRP comment period has concluded.

The public was invited to join us for a virtual presentation about the IRP on February 3. The meeting recording can be found by clicking here.



Stakeholder outreach and communication for the 2021 IRP closely aligns and was done in conjunction with OPPD’s Pathways to Decarbonization initiative. The Pathways to Decarbonization program looks at four specific areas of impact, including OPPD’s Energy Portfolio. The Energy Portfolio workstream resulted in a completed study and provided recommendations for meeting the 2050 goal of net zero carbon production and supports OPPD’s 2021 IRP. OPPD used the stakeholder process and results from the Energy Portfolio Pathways to Decarbonization study to inform its 2021 IRP filing.

Pathways to Decarbonization: Energy Portfolio was due December 2021

  • Due date is set by OPPD's Executive Leadership Team and Board of Directors

Five-year Integrated Resource Plan was due February 28, 2022

  • OPPD is legally required to submit a 5-year IRP to WAPA
  • Requirement outline by 10 Code of Federal Regulations 905 (10.CFR.905)
  • Is not a decision to add or retire assets

As OPPD transforms itself through a period of dynamic change, we understand that many of the assumptions that will be made in the 2021 IRP may continue to evolve over time as regulation, technology and customers’ preferences evolve. In light of this fluid environment, OPPD is committed to being vigilant in its planning efforts to not only make responsible choices financially, but to ensure the choices reflect the desires of our customers and the forward-looking view of OPPD leadership and board of directors.

Guestbook

OPPD is accepting comments on the 2021 IRP through Sunday, Feb. 20. If you have a question that requires an OPPD response, please use the Q & A tool.

CLOSED: The comment period has concluded.

I support home solar, but solar farms in the Midwest just don't make sense. I also believe it is dishonest and misleading when you state that you plan on building 1100 MW of solar generation. The second nuclear plant that was supposed to be built at Fort Calhoun Station would have produced about that much power and had been able to provide it reliably 24/7 on the 660 acres already designated for it. The plant itself takes up about a tenth of that land and the rest is covered with lush vegetation that scrubs out carbon emissions. To build 1100 MW of solar generation would require over 10,000 acres of land. It would rarely actually reach the peak generation of 1100 MW, and only during the day, and it would not be capable of having the same amount of lush vegetation that you can have on a nuclear site.

breny426 almost 3 years ago

To stop the coal fired turbines at North Omaha will cost $X millions. For that cost, what is the scientifically correlated benefit in degrees of global warming avoided?

leemyers almost 3 years ago

The solar incentive for residential customers sounds like a good idea. This would reduce the load on OPPD generating power. During a heatwave the solar energy at the home may not be enough and the home may have to request supplemental power from OPPD. Still this would be a reduction in the power load used by a home with solar power. OPPD should estimate the power savings it would have if a certain percentage of home owners were generating their own solar power.

William Mihalo almost 3 years ago

Thank you for completing your decarbonization study and Integrated Resource Plan (IRP). I am happy to learn of your plans for continuing along decarbonization pathways. This is a great step towards making energy more sustainable for your ratepayers. I am a strong advocate of reusable energy and I would be extremely happy if OPPD would commit to making our power coal-free in the next decade. By committing to an accelerated decarbonization program with benchmarks to reduce carbon emissions and to remove coal power from OPPD’s portfolio of energy sources, I feel that OPPD’s commitment to renewable energy sources will prove that OPPD is helping to create a legacy that the community can stand behind and feel proud of. Federal policies seem likely to continue to favor decarbonization in the form of incentives and/or carbon taxes. Fortunately, OPPD seems well aware of these motivating factors and in a good position to continue advancing effectively towards zero carbon.
Specific items in the IRP that I was happy to note were the solar incentives program and other programs designed to moderate consumption in the Five-Year Demand-Side Action Plan (Table 1-2) on page 4. It is good to feel that the energy consumer has some options to help contribute towards developing a cleaner power source and a better future for our community.
Stephen Jacobson

Stephen Jacobson almost 3 years ago

How much is it going to cost OPPD ratepayers to achieve net carbon zero? Per page 123 of the 2021 IRP, OPPD says that 5.6 GW of new wind and 4.7 GW of new solar is necessary. The report also claims that lithium batteries will provide 2.0 GW. They don't exist now.

Using the costs for solar and wind just published by MidAmerican Energy, I calculate a capital investment of $23 billion. Add in inflation and natgas peaking plants, and the cost could be over $32B.

When is OPPD going to level with customer-owners about the TRUE cost of net carbon zero?

The consultant claims that rates will only increase by 16% by 2050. That's laughable. The debt service on $23B will drive rates through the roof; just like in Germany. Right now OPPD only has $1 billion in revenue.

David D. Begley
Customer-owner

David D. Begley almost 3 years ago
Page last updated: 20 Apr 2022, 04:31 PM