Current Date/Time: 2/3/2025 8:49:09 AM
Linked Consumer Comments
EO-2021-0032
Consumer Comment No. | Date Filed | Consumer Comments |
---|---|---|
P202100158 | 11/24/2020 1:01 PM | The STP falls short of Kansas City’s target of 100% clean electricity by 2030 and could greatly hinder the possibility of success for the City’s Climate Action and Sustainability Plan. |
P202100163 | 12/8/2020 6:18 AM | I am an Evergy customer who is moving to MO. I am also a physician who responds to climate change driven disasters in the US and around the world. It is critical to do more to reduce our carbon footprint as quickly as possible. My wife and I have divested from any fossil fuel companies because I want to at least lessen my guild for these disasters when I next try to comfort someone who has lost family or home in a climate change driven disaster. |
P202100165 | 12/8/2020 12:49 PM | Regarding Case #EO-2021-0032 please use Kansas City's goal of 100% clean electricity by 2030 as your target. We are far behind where we should be in addressing climate change, and need to be as aggressive as possible in alleviating the problem. |
P202100168 | 12/8/2020 10:02 PM | This comment is about EO-2021-0032 and is submitted as a customer of Evergy and is about its Sustainability Transformation Plan. It is not enough for this plan to aim for an 85% reduction of greenhouse gas emissions by 2030. It is an improvement over the 80% reduction goal originally proposed. Climate change is a catastrophic challenge that demands a 100% reduction of greenhouse gases. The world and nature, including humans, cannot withstand the ravages imposed by climate change. |
P202100169 | 12/8/2020 10:43 PM | As a Missouri Registered Professional Engineer I am responsible for energy generation and distribution facilities with long service lives (50 to 100 years) exposed to and often vulnerable to the effects of extreme climate and weather events. In accordance with accepted engineering economic analysis, projects contributing to anthropogenic climate change should include the cost of improving infrastructure to withstand increased loading and repair damage. |
P202100198 | 12/20/2020 11:47 AM | Evergy's STP must include explicit plans to shut down all its coal-fire plants by 2025 if not sooner. Allowing these to continue makes a mockery of all efforts by local governments in the region to address the climate crisis. 100% clean electricity is needed by local governments and customers to be successful in these efforts. |
P202100348 | 1/15/2021 12:43 PM | The Communications Workers of America’s attached comment letter provides an empirical analysis of the outcomes of Elliott Management’s energy and utility interventions. These findings suggest that the Elliott-Evergy agreement and Sustainability Transformation Plan have the potential to make Evergy a less competitive and less financially resilient company which will negatively impact ratepayers through increased electricity rates and lower quality of service. |