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Legal Notices
Pursuant to Amended and Restated Operating Agreement of PJM Interconnection, L.L.C. (Operating Agreement), section 18.17.2(a), PJM Interconnection, L.L.C. (PJM) is hereby notifying Members that on June 20, 2023, PJM received a Civil Investigative Demand (CID) PDF from the United States Department of Justice - Antitrust Division. The CID requires PJM to produce documents and answer interrogatories in connection with Vistra Corp.’s proposed acquisition of Energy Harbor Corp.

Per Operating Agreement, section 18.17.2(a), an affected Member “may direct, at their sole discretion and cost, any challenge to or defense against the disclosure requirement.” PJM asks that any such affected Member notify PJM by no later than June 29, 2023 of the affected Member’s intent to challenge or defend against the disclosure of the requested information. Per Operating Agreement, section 18.17.2(a), PJM will “cooperate with the affected Members to obtain proprietary or confidential treatment of such information by the person to whom such information is disclosed prior to any such disclosure.”

Any questions should be directed to Erin Lai, PJM, at Erin.Lai@pjm.com.
Distribution/Service of Filings:
Copies of filings with FERC by Members or other regional participants that directly affect or impact the administration of the PJM Governing Documents should be provided to PJM and the PJM Independent Market Monitor (IMM) utilizing FERCeService@pjm.com. The filings in scope of this requirement include the following:

  • - Reactive Rate filings pursuant to PJM Tariff, Schedule 2;


  • - Cost of Service Recovery Rates for generators seeking to deactivate pursuant to PJM Tariff, Part V;


  • - Federal Power Act section 206 Complaints against PJM;


  • - Federal Power Act section 203 filings that involving PJM Members or other regional participants including direct and indirect generator and transmission asset transfers and sales in the PJM Region;


  • - Market-based rate filings including triennial updates and notices of change in status;


  • - Rate schedules or service agreement filings relating to the provision of electric service PJM region where PJM is not a party to the rate schedule/service agreement;


  • - Requests for waiver of any provision of the PJM Governing Agreements; and


  • - Petitions for declaratory order interpreting the PJM Governing Documents or other PJM requirements.



Pursuant to Amended and Restated Operating Agreement of PJM Interconnection, L.L.C. (Operating Agreement), section 18.17.2(a), PJM Interconnection, L.L.C. (PJM) is hereby notifying you that on December 7, 2020, PJM received the attached subpoena to produce documents in connection with Federal Energy Regulatory Commission v. Powhatan Energy Fund, LLC, et al., No. 3:15-cv-00452-MHL (E.D. Va.).

Per Operating Agreement, section 18.17.2(a), an affected Member “may direct, at their sole discretion and cost, any challenge to or defense against the disclosure requirement.” PJM asks that any such affected Member notify PJM by no later than December 17, 2020 of the affected Member’s intent to challenge or defend against the disclosure of the requested information. Per Operating Agreement, section 18.17.2(a), PJM will “cooperate with the affected Members to obtain proprietary or confidential treatment of such information by the person to whom such information is disclosed prior to any such disclosure.”

Any questions should be directed to Thomas DeVita, PJM, at thomas.devita@pjm.com.
State of the Market
   Reports are accessible on the Monitoring Analytics website.
2022 PJM Response PDF
2021 PJM Response PDF
2020 PJM Response PDF
2019 PJM Response PDF
2018 PJM Response PDF
2017 PJM Response PDF
2016 PJM Response PDF
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