Details for: PGE AL 5362-E-B.pdf


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Erik Jacobson
Director
Regulatory Relations

Pacific Gas and Electric Company
77 Beale St., Mail Code B13U
P.O. Box 770000
San Francisco, CA 94177
Fax: 415-973-3582

July 3, 2019

Advice 5362-E-B
(Pacific Gas and Electric Company ID U 39 E)

Public Utilities Commission of the State of California
Subject:

Second Supplemental: Update the Disadvantaged Communities Green
Tariff (DAC-GT) Program Rate and the Community Solar Green Tariff
(CS-GT) Program Rate per Resolution E-4999

Purpose
Pursuant to Ordering Paragraph (OP) 1 of Resolution E-4999, Pacific Gas and Electric
Company (PG&E) submits this supplemental submittal to reflect the changes to the
Disadvantaged Communities Green Tariff (DAC-GT) and the Community Solar Green
Tariff (CS-GT) per Resolution E-4999.
Background
On June 3, 2019, the California Public Utilities Commission (Commission or CPUC)
issued Resolution E-4999, which approved with modification, Tariffs to Implement the
Disadvantaged Communities Green Tariff and Community Solar Green Tariff Programs.
OP 1 details the modifications PG&E is required to make to the tariffs.
Tariff Changes
PG&E makes changes to the Disadvantaged Communities Green Tariff (DAC-GT) and
the Community Solar Green Tariff (CS-GT) pursuant to the following subsections of OP
1 of Resolution E-4999.
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•
•
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(c) PG&E clarifies in the DAC-GT and CS-GT tariffs that for customers enrolled in
the California Alternate Rates Assistance (CARE) or Family Electric Rate
Assistance (FERA) programs, the 20 percent DAC-GT discount will be applied to
the CARE or FERA rate.
(f) PG&E will comply with this section. No changes to the tariffs necessary.
(g) PG&E will comply with this section. No changes to the tariffs necessary.
(i) PG&E will comply with this section. No changes to the tariffs necessary.
(l) PG&E will comply with this section. No changes to the tariffs necessary.





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Advice 5362-E-B • • • • • • • • • • -2- July 3, 2019 (m) PG&E will comply with this section. No changes to the tariffs necessary. (o) PG&E clarifies in the DAC-GT and CS-GT tariffs that PG&E will recertify the eligibility of customers participating in the program after such customer moves to a new residence. Customers who are found to still be eligible for the program may retain their status as program participants and shall not be put on a waitlist as long as capacity is available and the customer’s turn-on date at their new location is within 90 days of their final billing date at their original location. (p) PG&E clarifies in the DAC-GT and CS-GT tariffs that the current version of CalEnviroScreen shall be used to define Disadvantaged Communities (DACs). (q) PG&E clarifies in the DAC-GT and CS-GT tariffs that existing participants in the tariffs whose census tracts become ineligible in a subsequent version of CalEnviroScreen may retain their eligibility. (r ) PG&E will comply with this section. No changes to the tariffs necessary. (s) PG&E will comply with this section. No changes to the tariffs necessary. (v) PG&E clarifies in its CS-GT tariff that all projects must be located in DACs as defined by the Decision and that projects in a San Joaquin Valley (SJV) pilot community must be located in a DAC within 40 miles of the SJV pilot community that it serves. (aa) PG&E will comply with this section. No changes to the tariffs necessary. (cc) PG&E will comply with this section. No changes to the tariffs necessary. (dd) PG&E will comply with this section. No changes to the tariffs necessary. The other subsections of OP 1 pertain exclusively to SCE or SDG&E and therefore are not addressed here. Additionally, PG&E made several minor changes to the tariffs to increase clarity and readability. Those changes, along with the changes detailed above, are provided in redline form in the attached DAC-GT and CS-GT tariffs. Protests Pursuant to CPUC General Order 96-B, Section 7.5.1, PG&E herby requests the protest period be waived. Effective Date PG&E requests that this Tier 2 advice submittal become effective concurrent with original Advice 5362-E, which is September 19, 2018. Notice In accordance with General Order 96-B, Section IV, a copy of this advice letter is being sent electronically and via U.S. mail to parties shown on the attached list and the parties on the service list for R.14-07-002 and R.12-11-005. Address changes to the General Order 96-B service list should be directed to PG&E at email address PGETariffs@pge.com. For changes to any other service list, please contact the
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Advice 5362-E-B -3- July 3, 2019 Commission’s Process Office at (415) 703-2021 or at Process_Office@cpuc.ca.gov. Send all electronic approvals to PGETariffs@pge.com. Advice letter submittals can also be accessed electronically at: http://www.pge.com/tariffs/. /S/ Erik Jacobson Director, Regulatory Relations Attachments cc: Matthew J. Sanders, Counsel on behalf of Peninsula Clean Energy, Marin Clean Energy, Sonoma Clean Power, and Lancaster Choice Energy Ellison Folk, Counsel on behalf of Interstate Renewable Energy Council Subin DeVar, Sustainable Economies Law Center Service Lists for R.14-07-002 and R.12-11-005
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ADVICE LETTER SUMMARY ENERGY UTILITY MUST BE COMPLETED BY UTILITY (Attach additional pages as needed) Company name/CPUC Utility No.: Pacific Gas and Electric Company (ID U39E) Utility type: ELC GAS PLC ✔ HEAT ELC = Electric PLC = Pipeline WATER Contact Person: Yvonne Yang Phone #: (415)973-2094 E-mail: PGETariffs@pge.com E-mail Disposition Notice to: Yvonne.Yang@pge.com EXPLANATION OF UTILITY TYPE GAS = Gas WATER = Water HEAT = Heat (Date Submitted / Received Stamp by CPUC) Tier Designation: 2 Advice Letter (AL) #: 5362-E-B Subject of AL: Second Supplemental: Update the Disadvantaged Communities Green Tariff (DAC-GT) Program Rate and the Community Solar Green Tariff (CS-GT) Program Rate per Resolution E-4999 Keywords (choose from CPUC listing): Compliance AL Type: Monthly Quarterly Annual ✔ One-Time Other: If AL submitted in compliance with a Commission order, indicate relevant Decision/Resolution #: Resolution E-4999 Does AL replace a withdrawn or rejected AL? If so, identify the prior AL: No Summarize differences between the AL and the prior withdrawn or rejected AL: Yes Yes ✔ No ✔ No 9/19/18 No. of tariff sheets: 10 Estimated system annual revenue effect (%): N/A Estimated system average rate effect (%): N/A When rates are affected by AL, include attachment in AL showing average rate effects on customer classes (residential, small commercial, large C/I, agricultural, lighting). Tariff schedules affected: Electric Schedule CS-GT – Community Solar Green Tariff Program and Electric Schedule DAC-GT - Disadvantaged Community Green Tariff Program Service affected and changes proposed1: N/A Pending advice letters that revise the same tariff sheets: N/A 1 Discuss in AL if more space is needed. Clear Form
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Protests and all other correspondence regarding this AL are due no later than 20 days after the date of this submittal, unless otherwise authorized by the Commission, and shall be sent to: CPUC, Energy Division Attention: Tariff Unit 505 Van Ness Avenue San Francisco, CA 94102 Email: EDTariffUnit@cpuc.ca.gov Name: Erik Jacobson, c/o Megan Lawson Title: Director, Regulatory Relations Utility Name: Pacific Gas and Electric Company Address: 77 Beale Street, Mail Code B13U City: San Francisco, CA 94177 Zip: 94177 State: California Telephone (xxx) xxx-xxxx: (415)973-2093 Facsimile (xxx) xxx-xxxx: (415)973-3582 Email: PGETariffs@pge.com Name: Title: Utility Name: Address: City: State: District of Columbia Telephone (xxx) xxx-xxxx: Facsimile (xxx) xxx-xxxx: Email: Zip: Clear Form
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Attachment 1 Advice 5362-E-B Cal P.U.C. Sheet No. Title of Sheet Cancelling Cal P.U.C. Sheet No. 44701-E ELECTRIC SCHEDULE CS-GT COMMUNITY SOLAR GREEN TARIFF PROGRAM Sheet 1 44702-E ELECTRIC SCHEDULE CS-GT COMMUNITY SOLAR GREEN TARIFF PROGRAM Sheet 2 44703-E ELECTRIC SCHEDULE CS-GT COMMUNITY SOLAR GREEN TARIFF PROGRAM Sheet 3 44704-E ELECTRIC SCHEDULE CS-GT COMMUNITY SOLAR GREEN TARIFF PROGRAM Sheet 4 44705-E ELECTRIC SCHEDULE CS-GT COMMUNITY SOLAR GREEN TARIFF PROGRAM Sheet 5 44706-E ELECTRIC SCHEDULE CS-GT COMMUNITY SOLAR GREEN TARIFF PROGRAM Sheet 6 44707-E ELECTRIC SCHEDULE DAC-GT DISADVANTAGED COMMUNITY GREEN TARIFF PROGRAM Sheet 1 44708-E ELECTRIC SCHEDULE DAC-GT DISADVANTAGED COMMUNITY GREEN TARIFF PROGRAM Sheet 2 44709-E ELECTRIC TABLE OF CONTENTS Sheet 1 44679-E 44710-E ELECTRIC TABLE OF CONTENTS Sheet 3 44681-E Page 1 of 1
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Original U 39 Cal. P.U.C. Sheet No. 44701-E San Francisco, California ELECTRIC SCHEDULE CS-GT COMMUNITY SOLAR GREEN TARIFF PROGRAM Sheet 1 APPLICABILITY: The Community Solar Green Tariff (CS-GT) is a voluntary rate supplement to the customer’s otherwise applicable rate schedule (OAS) offered to customers served in Disadvantaged Communities. The CS-GT option allows an eligible customer to choose to purchase renewable electricity produced by a local community solar project for 100% of their electric usage and receive a 20% discount on their OAS. This program shall be offered on a first-come, first-served basis until PG&E’s total allocated cap is reached (14.2 MW, which may be modified as described below). 1 Once the program cap is reached, no new customers will be allowed to take service under this schedule, only existing customers will be allowed to continue until the program is terminated. Residential Customer Eligibility Schedule CS-GT is available to PG&E Bundled Service electric residential customers living in a Disadvantaged Community2 are eligible to participate in the CS-GT program, subject to the rules as described below. The community solar project the customers are subscribing to must be located in a Disadvantaged Community within 5 miles from the customer’s community, as defined by its census tract borders, unless the project is located in a San Joaquin Valley pilot community, in which case the project must be located in a Disadvantaged Community within 40 miles from the customer’s community. Customers who live in the San Joaquin Valley pilot program communities are also eligible for the program even if their community is not a disadvantaged community as defined below. 25 percent of the project’s capacity must be reserved by low-income customers, defined as those meeting the qualifications for either the CARE or FERA programs, in order for the project to receive Permission to Operate (PTO). Furthermore, 50 percent of the project’s capacity must be reserved by low-income customers in order for the project sponsor(s) to be eligible for bill credits under this tariff. Non-residential customers are not eligible to participate, except for the project sponsor (see more information on sponsor eligibility rules below). A customer is not eligible to participate in the CS-GT program if the customer is taking service on: 1) Transitional Bundled Service under electric Rules 22.1 and 23, 2) Schedule S, where the customer’s demand is regularly served by a nonPG&E supply, 3) in conjunction with a net energy metering rate schedule including RES-BCT, and 4) non-metered service. Additionally, customers on the Solar Choice Program (E-GT), the Regional Renewable Choice (E-ECR) program, or the DAC Green Tariff (DAC-GT) are not eligible for simultaneous enrollment in CS-GT. (N) I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I (N) 1 In Resolution E-4999, the CPUC allocates 14.2 MW to PG&E for the CS-GT program, and additional allocations to the operating CCAs which together total 18 MW. If a CCA does not file a Tier 3 AL by January 1, 2021 detailing its plan to implement DAC-GT and CSGT programs and stating the capacity it will procure for each program, the program capacity allocated to a CCA shall revert back to PG&E. 2 As defined herein under “Territory”. (Continued) Advice Decision 5362-E-B Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution July 3, 2019 E-4999
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Original U 39 Cal. P.U.C. Sheet No. 44702-E San Francisco, California ELECTRIC SCHEDULE CS-GT COMMUNITY SOLAR GREEN TARIFF PROGRAM Sheet 2 APPLICABILITY: Residential Customer Eligibility (Cont’d.) (Cont’d.) Direct Access and Community-Choice Aggregation service (DA/CCA Service) customers cannot participate in the CS-GT program. However, Community Choice Aggregators (CCAs) may choose to offer their own similar program pursuant to Decision (D.)18-06-027. PG&E will recertify the eligibility of customers participating in the CS-GT program after such customer moves to a new residence. Customers who are found to still be eligible for the CS-GT program may retain their status as program participants and shall not be put on a waitlist as long as capacity is available and the customer’s turn-on date at their new location is within 90 days of their final billing date at their original location. Non-Residential Sponsor Eligibility In accordance with Decision (D.)18-06-027, community involvement must be demonstrated by a non-profit community-based organization (CBO) or a local government entity “sponsoring” a community solar project on behalf of residents. Local government entities include schools and Community Choice Aggregators. 3 To become eligible for this tariff, the sponsor must fulfill the following requirements: a. the sponsor must be a PG&E Bundled Service electric customer b. the sponsor must take service on the Community Solar Green Tariff c. the sponsor must be located in the same geographic areas as any other customer, i.e. in a disadvantaged community with the solar project being located within 5 miles from the sponsor’s community, or within 40 miles in the case of a project in a San Joaquin Valley pilot community, defined by its census tract borders. 3 A Community Choice Aggregator is not eligible for this tariff. Advice Decision 5362-E-B Issued by Robert S. Kenney Vice President, Regulatory Affairs (N) I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I (N) (Continued) Submitted Effective Resolution July 3, 2019 E-4999
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Original U 39 Cal. P.U.C. Sheet No. 44703-E San Francisco, California ELECTRIC SCHEDULE CS-GT COMMUNITY SOLAR GREEN TARIFF PROGRAM Sheet 3 APPLICABILITY: Non-Residential Sponsor Eligibility (Cont’d.) (Cont’d.) d. 50% of the project’s capacity must be subscribed by low-income customers e. the sponsor must meet all other eligibility requirements of any participating customer as described above. CBOs or local government entities who do not fulfill all or any of these requirements may still become project sponsors; however, they are not eligible for the CS-GT Tariff. There may be more than one sponsoring entity supporting a single community solar project. Multiple sponsors may be eligible for the CS-GT tariff on a single project (“joint sponsors”) provided that all sponsors meet the eligibility requirements outlined above. TERRITORY: This schedule is available to bundled service customers in designated Disadvantaged Communities in PG&E’s electric service territory. Disadvantaged Communities for purposes of this program are defined as the top 25% most impacted census tracts statewide per the current version of the CalEnviroScreen tool, plus the 22 census tracts in the highest 5% of CalEnviroScreen’s Pollution Burden that do not have an overall CalEnviroScreen score because of unreliable socioeconomic or health data. Existing participants in the CS-GT program whose census tract becomes ineligible in a subsequent version of CalEnviroScreen may retain their eligibility. Customers who live in the San Joaquin Valley pilot program communities4 are also eligible for the program even if their community is not among the top 25% DACs as defined by CalEnviroScreen. The community solar project the customers are subscribing to must be located in a Disadvantaged Community within 5 miles from the customer’s community, as defined by its census tract borders. For customers in San Joaquin Valley pilot communities, the project must be located in a Disadvantaged Community within 40 miles of the San Joaquin Valley pilot communities they serve. RATES: Customers taking service on this rate schedule will receive a twenty (20) percent discount on their total bundled charges on their otherwise applicable rate schedule. Additional charges and credits for renewable service applicable under Schedule E-GT will be waived for customers served under this rate schedule. For customers enrolled in the California Alternate Rate Assistance (CARE) or Family Electric Rate Assistance (FERA) programs, the twenty (20) percent discount will be applied to the CARE or FERA rate. 4 As defined in R.15-03-010 Advice Decision 5362-E-B (N) I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I (N) (Continued) Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution July 3, 2019 E-4999
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Original U 39 Cal. P.U.C. Sheet No. 44704-E San Francisco, California ELECTRIC SCHEDULE CS-GT COMMUNITY SOLAR GREEN TARIFF PROGRAM ENROLLMENT PROVISIONS: Sheet 4 Residential Customer Enrollment Enrollment of customers occurs at the level of the Service Agreement ID (SA ID). Master Meter customers must enroll 100 percent of the master meter account usage in the program. Individual tenants of master meter customers are not eligible to enroll in the program. Customer enrollment is capped at a maximum of 2MW solar equivalent per SA ID. This limitation does not apply to a federal, state, or local government, school or school district, county office of education, the California Community Colleges, the California State University, or the University of California.5 Customers subscribe to a percentage of the solar system’s project capacity based on 100 percent of their previous 12-month average monthly usage. If previous 12 months historical usage is not available, the average monthly usage will be derived from as many months as available. For customers establishing new service, the class average monthly usage will be used. The following example describes the calculation of the customer’s subscription allocation in more detail. We assume for this example that a residential customer has an average historical usage based on the previous 12-months of 500 kWh per month. The customer subscribes to a 100 kW community solar project with an estimated average monthly output of 21,900 kWh. The customer’s subscription allocation is then calculated as a percentage of the average monthly output of the solar system (500 kWh/ 21,900 kWh = 2.3% of average monthly output). In this example, the customer will subscribe to 2.3% of the project’s capacity. This percentage allocation is set but may be revisited periodically to ensure accurate allocations of project capacity. Enrollment of new customers is available until 100% of project capacity is subscribed. Enrollment attrition will be reviewed on a monthly basis and the program will be available for new enrollments until the project is fully subscribed. 5 PU Code 2833(h) Advice Decision 5362-E-B (N) I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I (N) (Continued) Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution July 3, 2019 E-4999
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Original U 39 Cal. P.U.C. Sheet No. 44705-E San Francisco, California ELECTRIC SCHEDULE CS-GT COMMUNITY SOLAR GREEN TARIFF PROGRAM ENROLLMENT PROVISIONS: (Cont’d.) Sheet 5 Low-income customers will be enrolled on a first-come, first-served basis. Once 50 percent of project capacity is subscribed by low-income customers, non-lowincome qualified residents in DACs become eligible for enrollment. These residents can be recruited before the 50 percent subscription requirement for lowincome customers is met. They will be placed on a waitlist until 50 percent of the capacity of the project is subscribed by low-income customers. The subscription rate of low-income customers will be assessed by the utility on a monthly basis after the bid is awarded. If, throughout the life of the project, the lowincome subscription rate ever drops below 50 percent, existing non-low-income customers are not required to go back on a wait list. However, new enrollments of non-low-income program participants will be barred until the 50 percent lowincome threshold is met again. During this time, new enrollments of non-lowincome participants will be put on a waitlist. Furthermore, PG&E will inform the Energy Division Director in writing if the low-income enrollment rate drops below 35% of project capacity. Non-Residential Sponsor Enrollment The sponsor’s/joint sponsors’ subscription allocation is calculated the same way as for any other participating customer with one modification: a sponsor’s/joint sponsors’ subscription allocation is limited to a maximum of 25 percent of the project’s energy output (not to exceed the sponsor’s/joint sponsors’ energy needs). If all the eligibility requirements are met by the sponsor/joint sponsors, the sponsor/joint sponsor will receive a 20% bill discount on eligible enrolled Service Agreements, capped at 25% of the project’s expected average energy output, and not to exceed the sponsor’s/joint sponsors’ usage under the applicable Service Agreements. This same principle applies if multiple sponsors share the 20% discount. If two or more sponsors are designated, the sponsors must inform PG&E of how the “discountable usage”, capped at 25% of the project’s expected average energy output, are to be allocated among them. The sponsor’s/joint sponsors’ discount will only be available to sponsors after the community solar project has reached its required minimum 50% low-income subscription rate. If the subscription rate of low-income customers throughout the life of the project drops under 50% of project capacity, the sponsor bill credit will not be revoked. (N) I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I (N) (Continued) Advice Decision 5362-E-B Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution July 3, 2019 E-4999
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Original U 39 Cal. P.U.C. Sheet No. 44706-E San Francisco, California ELECTRIC SCHEDULE CS-GT COMMUNITY SOLAR GREEN TARIFF PROGRAM ENROLLMENT PROVISIONS: Sheet 6 Residential Customer Enrollment Low-income customers will be enrolled on a first-come, first-served basis. Once 50 percent of project capacity is subscribed by low-income customers, non-lowincome qualified residents in DACs become eligible for enrollment. These residents can be recruited before the 50 percent subscription requirement for lowincome customers is met. They will be placed on a waitlist until 50 percent of the capacity of the project is subscribed by low-income customers. The subscription rate of low-income customers will be assessed by the utility on a monthly basis after the bid is awarded. If, throughout the life of the project, the lowincome subscription rate ever drops below 50 percent, existing non-low-income customers are not required to go back on a wait list. However, new enrollments of non-low-income program participants will be barred until the 50 percent lowincome threshold is met again. During this time, new enrollments of non-lowincome participants will be put on a waitlist. Furthermore, PG&E will inform the Energy Division Director in writing if the low-income enrollment rate drops below 35% of project capacity. Non-Residential Sponsor Enrollment The sponsor’s/joint sponsors’ subscription allocation is calculated the same way as for any other participating customer with one modification: a sponsor’s/joint sponsors’ subscription allocation is limited to a maximum of 25 percent of the project’s energy output (not to exceed the sponsor’s/joint sponsors’ energy needs). If all the eligibility requirements are met by the sponsor/joint sponsors, the sponsor/joint sponsor will receive a 20% bill discount on eligible enrolled Service Agreements, capped at 25% of the project’s expected average energy output, and not to exceed the sponsor’s/joint sponsors’ usage under the applicable Service Agreements. This same principle applies if multiple sponsors share the 20% discount. If two or more sponsors are designated, the sponsors must inform PG&E of how the “discountable usage”, capped at 25% of the project’s expected average energy output, are to be allocated among them. The sponsor’s/joint sponsors’ discount will only be available to sponsors after the community solar project has reached its required minimum 50% low-income subscription rate. If the subscription rate of low-income customers throughout the life of the project drops under 50% of project capacity, the sponsor bill credit will not be revoked. Advice Decision 5362-E-B Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution (N) I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I (N) July 3, 2019 E-4999
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Original U 39 Cal. P.U.C. Sheet No. 44707-E San Francisco, California ELECTRIC SCHEDULE DAC-GT DISADVANTAGED COMMUNITY GREEN TARIFF PROGRAM Sheet 1 APPLICABILITY: The Disadvantaged Community Green Tariff (DAC-GT) is a voluntary rate supplement to the customer’s otherwise applicable rate schedule (OAS) offered to customers served in Disadvantaged Communities. The DAC-GT option allows an eligible customer to choose to purchase renewable electricity for 100% of their electric usage and receive a 20% discount on their OAS. Schedule DAC-GT is available to PG&E Bundled Service residential customers that are eligible for either the Family Electric Rate Assistance (FERA) or the California Alternate Rate Assistance (CARE) programs, and takes electric service in a Disadvantaged Community, as defined below. This program shall be offered on a first-come, firstserved basis until PG&E’s total allocated cap is reached (54.82 MW, which may be modified as described below).1 Once the program cap is reached, no new customers will be allowed to take service under this schedule, only existing customers will be allowed to continue until the program is terminated. Direct Access and Community Choice Aggregation service (DA/CCA Service) customers cannot participate in this program; however, Community Choice Aggregators (CCAs) may choose to offer their own similar program pursuant to Decision (D.)18-06-027. Each customer will continue to take service under the provisions of their OAS. A customer is not eligible to participate in the DAC-GT program if the customer is taking service on: 1) Transitional Bundled Service under electric Rules 22.1 and 23, 2) Schedule S, where the customer’s demand is regularly served by a nonPG&E supply, 3) in conjunction with a net energy metering rate schedule including RES-BCT, or 4) non-metered service. Additionally, customers on the Solar Choice (E-GT), Regional Renewable Choice (E-ECR), or Community Solar Green Tariff (CS-GT) are not eligible for simultaneous enrollment in DAC-GT. Finally, rate schedules that are not available with CARE- or FERA-option, such as rate Schedules EVA and EVB, are not eligible for enrollment. PG&E will recertify the eligibility of customers participating in the DAC-GT program after such customer moves to a new residence. Customers who are found to still be eligible for the DAC-GT program may retain their status as program participants and shall not be put on a waitlist as long as capacity is available and the customer’s turn-on date at their new location is within 90 days of their final billing date at their original location. Existing participants in the DAC-GT program whose census tract becomes ineligible in a subsequent version of CalEnviroScreen may retain their eligibility. TERRITORY: 1 This schedule is available to bundled service customers in designated Disadvantaged Communities in PG&E’s electric service territory. Disadvantaged Communities for purposes of this program are defined as the top 25% most impacted census tracts statewide per the current version of the CalEnviroScreen tool, plus the 22 census tracts in the highest 5% of CalEnviroScreen’s Pollution Burden that do not have an overall CalEnviroScreen score because of unreliable socioeconomic or health data. (N) I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I (N) In Resolution E-4999, the CPUC allocates 54.82 MW to PG&E for the DAC-GT program, and additional allocations to the operating CCAs which together total 70 MW. If a CCA does not file a Tier 3 AL by January 1, 2021 detailing its plan to implement DAC-GT and CSGT programs and stating the capacity it will procure for each program, the program capacity allocated to a CCA shall revert back to PG&E. (Continued) Advice Decision 5362-E-B Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution July 3, 2019 E-4999
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Original U 39 Cal. P.U.C. Sheet No. 44708-E San Francisco, California ELECTRIC SCHEDULE DAC-GT DISADVANTAGED COMMUNITY GREEN TARIFF PROGRAM Sheet 2 Customers taking service on this rate schedule will receive a twenty (20) percent discount on their total bundled charges on their otherwise applicable rate schedule. Additional charges and credits for renewable services applicable under Schedule E-GT will be waived for customers served under this rate schedule. RATES: For customers enrolled in the California Alternate Rate Assistance (CARE) or Family Electric Rate Assistance (FERA) programs, the twenty (20) percent discount will be applied to the CARE or FERA rate. ENROLLMENT PROVISIONS: Customer enrollment is capped at a maximum of 2MW solar equivalent per Service Agreement (SA ID). This limitation does not apply to a federal, state, or local government, school or school district, county office of education, the California Community Colleges, the California State University, or the University of California.2 A participating customer can remain on the DAC-GT tariff for up to 20 years from the time of enrollment. ENROLLMENT TERM: The customer will be placed on the DAC-GT program option on the first day of the next Billing Cycle where the Billing Cycle start date occurs at least five (5) business days after the date of the customer’s request. A customer request that is received within five (5) business days of the customer’s next Billing Cycle may result in the customer being placed on the DAC-GT Program in the following Billing Cycle. Once enrolled, service on the DAC-GT program shall continue on a month to month thereafter. There is no minimum term of service under this schedule. There is also no termination fee associated with terminating participation in this program. Cancellation of the customer’s participation in the DAC-GT Program will become effective as of the customer’s last closed bill period. The customer is then ineligible to participate in the DAC-GT Program for a period of twelve (12) months from the date of the change. OTHER PROGRAMS: BILLLING: Monthly bills are calculated in accordance with the customer’s OAS and the provisions contained herein. The amount credited under Schedule DAC-GT will appear as a discount on the customer’s OAS bill as described above. METERING EQUIPMENT: 2 PG&E also offers Schedules E-GT and E-ECR which provide renewable services for customers throughout PG&E’s service territory, without a geographic restriction of disadvantaged communities. In addition, PG&E offers Schedule CS-GT, the Community Solar Green Tariff, in Disadvantaged Communities. Customers that take service under this schedule cannot simultaneously participant in any of these three other options. All customers must be separately metered by PG&E under their OAS. (N) I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I (N) PU Code 2833(h) Advice Decision 5362-E-B Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution July 3, 2019 E-4999
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Cancelling U 39 Revised Revised Cal. P.U.C. Sheet No. Cal. P.U.C. Sheet No. 44709-E 44679-E San Francisco, California ELECTRIC TABLE OF CONTENTS Sheet 1 TABLE OF CONTENTS SCHEDULE CAL P.U.C. SHEET NO. TITLE OF SHEET Title Page ............................................................................................................................... 44709-E Rate Schedules ......................................... 44680,44710,44682,44683,44684,44685,43935,44177-E Preliminary Statements ...................................... 44686,44687,42856*,43670,41723,40591,44040-E Rules ................................................................................................................ 43022,43023,43210-E Maps, Contracts and Deviations ............................................................................................ 37960-E Sample Forms ... 40925*,37631,41151*,41573*, 37632,41152*,41153,37769,44035,40671,37169-E (T) (T) (Continued) Advice Decision 5362-E-B Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution July 3, 2019 E-4999
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Cancelling U 39 Revised Revised Cal. P.U.C. Sheet No. Cal. P.U.C. Sheet No. 44710-E 44681-E San Francisco, California ELECTRIC TABLE OF CONTENTS SCHEDULE Sheet 3 CAL P.U.C. SHEET NO. TITLE OF SHEET Rate Schedules Residential (Cont’d) CS-GT DAC-GT E-AMDS E-FERA E-RSMART EE E-EFLIC E-TOU E-TOU-C3 Community Solar Green Tariff Program .....................44701,44702,44703,44704,44705,44706-E Disadvantaged Community Green Tariff Program ................................................. 44707,44708-E Experimental Access to Meter Data Services ................................................................... 28367-E Family Electric Rate Assistance ................................................................. 40216,42201,29288-E Residential SMARTRATE Program ...................................... 40857,40051,35350,35351,43930-E Service to Company Employees ...................................................................................... 24091-E Energy Financing Line Item Charge (EFLIC) Pilot ................ 35599,35600,35601,35602,35603-E Residential Time-of-Use Service ........................................................ 40861,44597,44598,44599, ..................................................................................................... 43413,36504,40864,44600-E Residential Time-Of-Use (Peak Pricing 4 - 9 p.m. Every Day) ..................... 42075,44601,44602, ................................................................................43414,42079,43054,44603,43056,43057-E EL-TOU Residential CARE Program Time-of-Use Service .............................. 36507,44610,44611,44612, ..................................................................................................... 43418,36512,40873,44613-E EL-TOU-C3 (N) (N) Residential CARE Program Time-Of-Use (Peak Pricing 4 - 9 p.m. Every Day) ....... 42084,44614, ..................................................................... 44615,43419,42088,43058,44616,43060,42092-E Residential CARE Program Service ..................................... 44604,44605,43416,40867,44606-E Residential CARE Time-of-Use Service .......... 36614,44607,44608,43417,36519,40869,44609-E Master-Metered Multifamily Service ...........................44617,44618,43421,20648,44619,28723-E Residential Time of Use Service ................................35229,44620,44621,43422,40879,44622-E Master-Metered Multifamily CARE Program Service ............ 44623,44624,43423,44625,28768-E Residential CARE Program Time of Use ....................28217,44626,44627,43424,40884,44628-E Multifamily Service......................................................44629,44630,43425,28207,44631,28727-E Multifamily CARE Program Service ............................44632,44633,43426,40891,43826,28773-E Residential RV Park and Residential Marina Service ..................................................................... ................................................................................... 44635,44636,43427,20657,44637,28731-E Residential RV Park and Residential Marina CARE Program Service ........................................... ................................................................................44638,44639,43428,40897,44640,28778-E Mobilehome Park Service................................ 44641,44642,43429,28208,44643,35231,28736-E Mobilehome Park CARE Program Service ......................................... 44644,44645,43430,28216, ................................................................................................................ 44646,35232,28783-E EL-1 EL-6 EM EM-TOU EML EML-TOU ES ESL ESR ESRL ET ETL (Continued) Advice Decision 5362-E-B Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution July 3, 2019 E-4999
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Advice 5362-E-B July 3, 2019 Attachment 2 Tariffs Revision
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Revised U 39 Cal. P.U.C. Sheet No. 43687-E San Francisco, California ELECTRIC SCHEDULE CS-GT COMMUNITY SOLAR GREEN TARIFF PROGRAM Sheet 1 APPLICABILITY: The Community Solar Green Tariff (CS-GT) is a voluntary rate supplement to the customer’s otherwise applicable rate schedule (OAS) offered to customers served in Disadvantaged Communities. The CS-GT option allows an eligible customer to choose to purchase renewable electricity produced by a local community solar project for 100% of their electric usage and receive a 20% discount on their OAS. This program shall be offered on a first-come, first-served basis until PG&E’s total allocated cap is reached (14.2 MW, which may be modified as described below).1 Once the program cap is reached, no new customers will be allowed to take service under this schedule, only existing customers will be allowed to continue until the program is terminated. Residential Customer Eligibility Bundled Schedule CS-GT is available to PG&E Bundled Service electric residential customers living in a Ddisadvantaged Ccommunity2 are eligible to participate in the Community Solar Green Tariff (CS-GT) program, subject to the rules as described below. The community solar project the customers are subscribing to must be located in a Disadvantaged Community within 5 miles from the customer’s community, as defined by its census tract borders, unless the project is located in a San Joaquin Valley pilot community, in which case the project must be located in a Disadvantaged Community within 40 miles from the customer’s community. Customers who live in the San Joaquin Valley pilot program communities are also eligible for the program even if their community is not a disadvantaged community as defined below. 25 percent of the project’s capacity must be reserved by low-income customers, defined as those meeting the qualifications for either the CARE or FERA programs, in order for the project to receive Permission to Operate (PTO). Furthermore, 50 percent of the project’s capacity must be reserved by low-income customers in order for the project sponsor(s) to be eligible for bill credits under this tariff. Non-residential customers are not eligible to participate, except for the project sponsor (see more information on sponsor eligibility rules below). A customer is not eligible to participate in the CS-GT program if the customer is taking service on: 1) Transitional Bundled Service under electric Rules 22.1 and 23, 2) Schedule S, where the customer’s demand is regularly served by a nonPG&E supply, 3) in conjunction with a net energy metering rate schedule including RES-BCT, and 4) non-metered service. Additionally, customers on the Solar Choice Program (E-GT), the Regional Renewable Choice (E-ECR) program, or the DAC Green Tariff (DAC-GT) are not eligible for simultaneous enrollment in CS-GT. (N) I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I (N) Direct Access and Community-Choice Aggregation service (DA/CCA Service) customers cannot participate in the CS-GT program. However, Community Choice Aggregators (CCAs) may choose to offer their own similar program pursuant to Decision (D.)18-06-027. 1 In Resolution E-4999, the CPUC allocates 14.2 MW to PG&E for the CS-GT program, and additional allocations to the operating CCAs which together total 18 MW. If a CCA does not file a Tier 3 AL by January 1, 2021 detailing its plan to implement DAC-GT and CSGT programs and stating the capacity it will procure for each program, the program capacity allocated to a CCA shall revert back to PG&E. 2 As defined belowherein under “Territory”. (Continued) Advice Decision 5362-E-A 18-06-027 Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution February 13, 2019 May 30, 2019
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Revised U 39 Cal. P.U.C. Sheet No. 43687-E San Francisco, California ELECTRIC SCHEDULE CS-GT COMMUNITY SOLAR GREEN TARIFF PROGRAM Sheet 1 PG&E will recertify the eligibility of customers participating in the CS-GT program after such customer moves to a new residence. Customers who are found to still be eligible for the CS-GT program may retain their status as program participants and shall not be put on a waitlist as long as capacity is available and the customer’s turn-on date at their new location is within 90 days of their final billing date at their original location. (Continued) Advice Decision 5362-E-A 18-06-027 Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution February 13, 2019 May 30, 2019
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Revised U 39 Cal. P.U.C. Sheet No. 43688-E San Francisco, California ELECTRIC SCHEDULE CS-GT COMMUNITY SOLAR GREEN TARIFF PROGRAM Sheet 2 APPLICABILITY: Non-Residential Sponsor Eligibility (Cont’d.) In accordance with Decision (D.)18-06-027, community involvement must be demonstrated by a non-profit community-based organization (CBO) or a local government entity “sponsoring” a community solar project on behalf of residents. Local government entities include schools and Community Choice Aggregators.3 To become eligible for this tariff, the sponsor must fulfill the following requirements: a. the sponsor must be a PG&E Bundled Service electric customer b. the sponsor must take service on the Community Solar Green Tariff c. the sponsor must be located in the same geographic areas as any other customer, i.e. in a disadvantaged community with the solar project being located within 5 miles from the sponsor’s community, or within 40 miles in the case of a project in a San Joaquin Valley pilot community, defined by its census tract borders. d. 50% of the project’s capacity must be subscribed by low-income customers e. the sponsor must meet all other eligibility requirements of any participating customer as described above. CBOs or local government entities who do not fulfill all or any of these requirements may still become project sponsors; however, they are not eligible for the CS-GT Tariff. There may be more than one sponsoring entity supporting a single community solar project. Multiple sponsors may be eligible for the CS-GT tariff on a single project (“joint sponsors”) provided that all sponsors meet the eligibility requirements outlined above. TERRITORY: 3 This schedule is available to bundled service customers in designated Disadvantaged Communities in PG&E’s electric service territory. Disadvantaged Communities for purposes of this program are defined as the top 25% most impacted census tracts statewide per the current version of the CalEnviroScreen 3.0 tool, plus the 22 census tracts in the highest 5% of CalEnviroScreen’s Pollution Burden that do not have an overall CalEnviroScreen score because of unreliable socioeconomic or health data. Existing participants in the CS-GT program whose census tract becomes ineligible in a subsequent version of CalEnviroScreen may retain their eligibility. A Community Choice Aggregator is not eligible for this tariff. Advice Decision 5362-E-A 18-06-027 Issued by Robert S. Kenney Vice President, Regulatory Affairs (N) I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I (N) (Continued) Submitted Effective Resolution February 13, 2019 May 30, 2019
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Revised U 39 Cal. P.U.C. Sheet No. 43689-E San Francisco, California ELECTRIC SCHEDULE CS-GT COMMUNITY SOLAR GREEN TARIFF PROGRAM TERRITORY: (Cont’d.) Sheet 3 Customers who live in the San Joaquin Valley pilot program communities4 are also eligible for the program even if their community is not among the top 25% DACs as defined by CalEnviroScreen. The community solar project the customers are subscribing to must be located in a Disadvantaged Community within 5 miles from the customer’s community, as defined by its census tract borders. For customers in San Joaquin Valley pilot communities, the project must be located in a Disadvantaged Community within 40 miles of the San Joaquin Valley pilot communities they serve. (N) I I I I I I Customers taking service on this rate schedule will receive a twenty (20) percent discount on their total bundled charges on their otherwise applicable rate schedule. Additional charges and credits for renewable service applicable under Schedule E-GT will be waived for customers served under this rate schedule. RATES: I I I I For customers enrolled in the California Alternate Rate Assistance (CARE) or Family Electric Rate Assistance (FERA) programs, the twenty (20) percent discount will be applied to the CARE or FERA rate. ENROLLMENT PROVISIONS: Residential Customer Enrollment Enrollment of customers occurs at the level of the Service Agreement ID (SA ID). Master Meter customers must enroll 100 percent of the master meter account usage in the program. Individual tenants of master meter customers are not eligible to enroll in the program. Customer enrollment is capped at a maximum of 2MW solar equivalent per SA ID. This limitation does not apply to a federal, state, or local government, school or school district, county office of education, the California Community Colleges, the California State University, or the University of California.5 Customers subscribe to a percentage of the solar system’s project capacity based on 100 percent of their previous 12-month average monthly usage. If previous 12 months historical usage is not available, the average monthly usage will be derived from as many months as available. For customers establishing new service, the class average monthly usage will be used. The following example describes the calculation of the customer’s subscription allocation in more detail. We assume for this example that a residential customer has an average historical usage based on the previous 12-months of 500 kWh per month. The customer subscribes to a 100 kW community solar project with an estimated average monthly output of 21,900 kWh. The customer’s subscription allocation is then calculated as a percentage of the average monthly output of the solar system (500 kWh/ 21,900 kWh = 2.3% of average monthly output). In this example, the customer will subscribe to 2.3% of the project’s capacity. This percentage allocation is set but may be revisited periodically to ensure accurate allocations of project capacity. 4 5 As defined in R.15-03-010 PU Code 2833(h) Advice Decision 5362-E-A 18-06-027 I I I I I I I I I I I I I I I I I I I I I I I I I I I I (Continued) Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution February 13, 2019 May 30, 2019
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Revised U 39 Cal. P.U.C. Sheet No. 43689-E San Francisco, California ELECTRIC SCHEDULE CS-GT COMMUNITY SOLAR GREEN TARIFF PROGRAM Sheet 3 Enrollment of new customers is available until 100% of project capacity is subscribed. Enrollment attrition will be reviewed on a monthly basis and the program will be available for new enrollments until the project is fully subscribed. I I I (N) (Continued) Advice Decision 5362-E-A 18-06-027 Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution February 13, 2019 May 30, 2019
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Revised U 39 Cal. P.U.C. Sheet No. 43690-E San Francisco, California ELECTRIC SCHEDULE CS-GT COMMUNITY SOLAR GREEN TARIFF PROGRAM ENROLLMENT PROVISIONS: (Cont’d.) Sheet 4 Low-income customers will be enrolled on a first-come, first-served basis. Once 50 percent of project capacity is subscribed by low-income customers, non-lowincome qualified residents in DACs become eligible for enrollment. These residents can be recruited before the 50 percent subscription requirement for lowincome customers is met. They will be placed on a waitlist until 50 percent of the capacity of the project is subscribed by low-income customers. The subscription rate of low-income customers will be assessed by the utility on a monthly basis after the bid is awarded. If, throughout the life of the project, the lowincome subscription rate ever drops below 50 percent, existing non-low-income customers are not required to go back on a wait list. However, new enrollments of non-low-income program participants will be barred until the 50 percent lowincome threshold is met again. During this time, new enrollments of non-lowincome participants will be put on a waitlist. Furthermore, PG&E will inform the Energy Division Director in writing if the low-income enrollment rate drops below 35% of project capacity. Non-Residential Sponsor Enrollment The sponsor’s/joint sponsors’ subscription allocation is calculated the same way as for any other participating customer with one modification: a sponsor’s/joint sponsors’ subscription allocation is limited to a maximum of 25 percent of the project’s energy output (not to exceed the sponsor’s/joint sponsors’ energy needs). If all the eligibility requirements are met by the sponsor/joint sponsors, the sponsor/joint sponsor will receive a 20% bill discount on eligible enrolled Service Agreements, capped at 25% of the project’s expected average energy output, and not to exceed the sponsor’s/joint sponsors’ usage under the applicable Service Agreements. This same principle applies if multiple sponsors share the 20% discount. If two or more sponsors are designated, the sponsors must inform PG&E of how the “discountable usage”, capped at 25% of the project’s expected average energy output, are to be allocated among them. The sponsor’s/joint sponsors’ discount will only be available to sponsors after the community solar project has reached its required minimum 50% low-income subscription rate. If the subscription rate of low-income customers throughout the life of the project drops under 50% of project capacity, the sponsor bill credit will not be revoked. (N) I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I (N) (Continued) Advice Decision 5362-E-A 18-06-027 Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution February 13, 2019 May 30, 2019
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Revised U 39 Cal. P.U.C. Sheet No. 43691-E San Francisco, California ELECTRIC SCHEDULE CS-GT COMMUNITY SOLAR GREEN TARIFF PROGRAM ENROLLMENT TERM: Sheet 5 The customer will be placed on the CS-GT program option on the first day of the next Billing Cycle where the Billing Cycle start date occurs at least five (5) business days after the date of the customer’s request. A customer request that is received within five (5) business days of the customer’s next Billing Cycle may result in the customer being placed on the CS-GT Program in the following Billing Cycle. Once enrolled, service on the CS-GT program shall continue on a month to month thereafter. There is no minimum term of service under this schedule. There is also no termination fee associated with terminating participation in this program. Cancellation of the customer’s participation in the CS-GT Program will become effective as of the customer’s last closed bill period. The customer is then ineligible to participate in the CS Green Tariff Program for a period of 12 months from the date of the change. A participating customer can remain on the CS-GT tariff for the duration of the project’s contract term, or up to 20 years, whichever is less. Customer participation in the program shall automatically terminate should the Power Purchase Agreement (PPA) between PG&E and the developer for the CS-GT facility to which the customer is subscribed be terminated or the delivery term ends. If a project has multiple sponsors, the sponsors must jointly inform PG&E in writing of their requested allocations of the 25% maximum “discountable usage” for the project. Such allocations may not be changed more than once per year, and must be done so in writing. OTHER PROGRAMS: PG&E also offers Schedules E-GT and E-ECR which provide renewable services for customers throughout PG&E’s service territory, without a geographic restriction of disadvantaged communities. In addition, PG&E offers Schedule DAC-GT, the Disadvantaged Community Green Tariff, in Disadvantaged Communities. Customers that take service under this schedule cannot simultaneously participant in any of these three other options. BILLLING: Monthly bills are calculated in accordance with the customer’s OAS and the provisions contained herein. The amount credited under Schedule CS-GT will appear as a discount on the customer’s OAS bill as described above. All customers must be separately metered by PG&E under their OAS. METERING EQUIPMENT: Advice Decision 5362-E-A 18-06-027 Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution (N) I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I (N) February 13, 2019 May 30, 2019
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Revised U 39 Cal. P.U.C. Sheet No. 43692-E San Francisco, California ELECTRIC SCHEDULE DAC-GT DISADVANTAGED COMMUNITY GREEN TARIFF PROGRAM Sheet 1 APPLICABILITY: The Disadvantaged Community Green Tariff (DAC-GT) is a voluntary rate supplement to the customer’s otherwise applicable rate schedule (OAS) offered to customers served in Disadvantaged Communities. The DAC-GT option allows an eligible customer to choose to purchase renewable electricity for 100% of their electric usage and receive a 20% discount on their OAS. Schedule DAC-GT is available to PG&E Bundled Service residential customers that are eligible for either the Family Electric Rate Assistance (FERA) or the California Alternate Rate Assistance (CARE) programs, and takes electric service in a Disadvantaged Community, as defined below. This program shall be offered on a first-come, firstserved basis until PG&E’s total allocated cap is reached (54.8270 MW, less any carveouts for CCAs as determined by the CPUCwhich may be modified as described below).6 Once the program cap is reached, no new customers will be allowed to take service under this schedule, only existing customers will be allowed to continue until the program is terminated. Direct Access and Community Choice Aggregation service (DA/CCA Service) customers cannot participate in this program; however, Community Choice Aggregators (CCAs) may choose to offer their own similar program pursuant to Decision (D.)18-06-027. Each customer will continue to take service under the provisions of their OAS. A customer is not eligible to participate in the DAC-GT program if the customer is taking service on: 1) Transitional Bundled Service under electric Rules 22.1 and 23, 2) Schedule S, where the customer’s demand is regularly served by a nonPG&E supply, 3) in conjunction with a net energy metering rate schedule including RES-BCT, or 4) non-metered service. Additionally, customers on the Solar Choice (E-GT), Regional Renewable Choice (E-ECR), or Community Solar Green Tariff (CS-GT) are not eligible for simultaneous enrollment in DAC-GT. Finally, rate schedules that are not available with CARE- or FERA-option, such as rate Schedules EVA and EVB, are not eligible for enrollment. (N) I I I I I I I I I I I I I I I I I I I I I I I I I PG&E will recertify the eligibility of customers participating in the DAC-GT program after such customer moves to a new residence. Customers who are found to still be eligible for the DAC-GT program may retain their status as program participants and shall not be put on a waitlist as long as capacity is available and the customer’s turn-on date at their new location is within 90 days of their final billing date at their original location. TERRITORY: This schedule is available to bundled service customers in designated Disadvantaged Communities in PG&E’s electric service territory. Disadvantaged Communities for purposes of this program are defined as the top 25% most impacted census tracts statewide per the current version of the CalEnviroScreen 3.0 tool, plus the 22 census tracts in the highest 5% of CalEnviroScreen’s Pollution Burden that do not have an overall CalEnviroScreen score because of unreliable socioeconomic or health data. Existing participants in the DAC-GT program whose census tract becomes ineligible in a subsequent version of CalEnviroScreen may retain their eligibility. I I I I I I I RATES: Customers taking service on this rate schedule will receive a twenty (20) percent discount on their total bundled charges on their otherwise applicable rate I I 6 In Resolution E-4999, the CPUC allocates 54.82 MW to PG&E for the DAC-GT program, and additional allocations to the operating CCAs which together total 70 MW. If a CCA does not file a Tier 3 AL by January 1, 2021 detailing its plan to implement DAC-GT and CSGT programs and stating the capacity it will procure for each program, the program capacity allocated to a CCA shall revert back to PG&E. (Continued) Advice Decision 5362-E-A 18-06-027 Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution February 13, 2019 May 30, 2019
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Revised U 39 Cal. P.U.C. Sheet No. 43692-E San Francisco, California ELECTRIC SCHEDULE DAC-GT DISADVANTAGED COMMUNITY GREEN TARIFF PROGRAM Sheet 1 schedule. Additional charges and credits for renewable services applicable under Schedule E-GT will be waived for customers served under this rate schedule. I (N) For customers enrolled in the California Alternate Rate Assistance (CARE) or Family Electric Rate Assistance (FERA) programs, the twenty (20) percent discount will be applied to the CARE or FERA rate. (Continued) Advice Decision 5362-E-A 18-06-027 Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution February 13, 2019 May 30, 2019
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Revised U 39 Cal. P.U.C. Sheet No. 43693-E San Francisco, California ELECTRIC SCHEDULE DAC-GT DISADVANTAGED COMMUNITY GREEN TARIFF PROGRAM ENROLLMENT PROVISIONS: Sheet 2 Enrollment of customers occurs at the level of the Service Agreement ID (SA ID). Customer enrollment is capped at a maximum of 2MW solar equivalent per Service Agreement (SA ID). This limitation does not apply to a federal, state, or local government, school or school district, county office of education, the California Community Colleges, the California State University, or the University of California. 7 (N) I I I I I I I I A participating customer can remain on the DAC-GT tariff for up to 20 years from the time of enrollment. ENROLLMENT TERM: The customer will be placed on the DAC-GT program option on the first day of the next Billing Cycle where the Billing Cycle start date occurs at least five (5) business days after the date of the customer’s request. A customer request that is received within five (5) business days of the customer’s next Billing Cycle may result in the customer being placed on the DAC-GT Program in the following Billing Cycle. I I I I I I I I I I I I I I Once enrolled, service on the DAC-GT program shall continue on a month to month thereafter. There is no minimum term of service under this schedule. There is also no termination fee associated with terminating participation in this program. Cancellation of the customer’s participation in the DAC-GT Program will become effective as of the customer’s last closed bill period. The customer is then ineligible to participate in the DAC-GT Program for a period of twelve (12) months from the date of the change. OTHER PROGRAMS: BILLLING: 7 Monthly bills are calculated in accordance with the customer’s OAS and the provisions contained herein. The amount credited under Schedule DAC-GT will appear as a discount on the customer’s OAS bill as described above. METERING EQUIPMENT: All customers must be separately metered by PG&E under their OAS. I I I I I I I I PG&E also offers Schedules E-GT and E-ECR which provide renewable services for customers throughout PG&E’s service territory, without a geographic restriction of disadvantaged communities. In addition, PG&E offers Schedule CS-GT, the Community Solar Green Tariff, in Disadvantaged Communities. Customers that take service under this schedule cannot simultaneously participant in any of these three other options. PU Code 2833(h) Advice Decision 5362-E-A 18-06-027 I I I I (N) (Continued) Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution February 13, 2019 May 30, 2019
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PG&E Gas and Electric Advice Submittal List General Order 96-B, Section IV AT&T Albion Power Company Alcantar & Kahl LLP Alta Power Group, LLC Anderson & Poole Atlas ReFuel BART Barkovich & Yap, Inc. P.C. CalCom Solar California Cotton Ginners & Growers Assn California Energy Commission California Public Utilities Commission California State Association of Counties Calpine Cameron-Daniel, P.C. Casner, Steve Cenergy Power Center for Biological Diversity City of Palo Alto City of San Jose Clean Power Research Coast Economic Consulting Commercial Energy County of Tehama - Department of Public Works Crossborder Energy Crown Road Energy, LLC Davis Wright Tremaine LLP Day Carter Murphy Dept of General Services Don Pickett & Associates, Inc. Douglass & Liddell Downey & Brand East Bay Community Energy Ellison Schneider & Harris LLP Energy Management Service Engineers and Scientists of California Evaluation + Strategy for Social Innovation GenOn Energy, Inc. Goodin, MacBride, Squeri, Schlotz & Ritchie Green Charge Networks Green Power Institute Hanna & Morton ICF International Power Technology Intestate Gas Services, Inc. Kelly Group Ken Bohn Consulting Keyes & Fox LLP Leviton Manufacturing Co., Inc. Linde Los Angeles County Integrated Waste Management Task Force Los Angeles Dept of Water & Power MRW & Associates Manatt Phelps Phillips Marin Energy Authority McKenzie & Associates Modesto Irrigation District Morgan Stanley NLine Energy, Inc. NRG Solar Office of Ratepayer Advocates OnGrid Solar Pacific Gas and Electric Company Peninsula Clean Energy Pioneer Community Energy Praxair Redwood Coast Energy Authority Regulatory & Cogeneration Service, Inc. SCD Energy Solutions SCE SDG&E and SoCalGas SPURR San Francisco Water Power and Sewer Seattle City Light Sempra Utilities Southern California Edison Company Southern California Gas Company Spark Energy Sun Light & Power Sunshine Design Tecogen, Inc. TerraVerde Renewable Partners Tiger Natural Gas, Inc. TransCanada Troutman Sanders LLP Utility Cost Management Utility Power Solutions Utility Specialists Verizon Water and Energy Consulting Wellhead Electric Company Western Manufactured Housing Communities Association (WMA) Yep Energy
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