Oversight
Local Interventions
Establish Continued Energy Transparency Mechanisms as a Condition of Approval
Require that development projects make all electricity use public in monthly reporting, including whether or not a data center exceeds the energy capacity detailed in the will serve letter. This information must be submitted to the local agency overseeing the permitting process to ensure compliance with the terms of the conditional permit. Information should also […]
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Require that development projects make all electricity use public in monthly reporting, including whether or not a data center exceeds the energy capacity detailed in the will serve letter. This information must be submitted to the local agency overseeing the permitting process to ensure compliance with the terms of the conditional permit. Information should also be reported to a state agency that gathers and discloses this information online. For more information about how states can track and publish these metrics online, see Establish a Statewide Clearinghouse.
Establish Strong Enforcement Mechanisms for Violations
Build in enforcement mechanisms for local governments to hold data centers liable for exceeding energy thresholds noted in the will serve letter. Remember that nominal fines for violations mean nothing to hyperscale data centers. WEAK example Phoenix, Arizona, requires will serve letters, but does not have a mechanism to ensure compliance once the data center […]
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Build in enforcement mechanisms for local governments to hold data centers liable for exceeding energy thresholds noted in the will serve letter. Remember that nominal fines for violations mean nothing to hyperscale data centers.
WEAK example
Phoenix, Arizona, requires will serve letters, but does not have a mechanism to ensure compliance once the data center is in operation.
Federal Interventions
Mobilize Authority Under the Federal Energy Regulatory Commission (FERC) to Oversee Data Centers
Reject Colocation Policies That Enable AI Data Centers to Soak Up Available Energy In December 2025, FERC announced that PJM Interconnections’s tariff governing the colocation of generation with large loads like AI data centers was unjust due to unclear and inconsistent rates and terms. FERC directed PJM to create transparent, enforceable tariff rules for such […]
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Reject Colocation Policies That Enable AI Data Centers to Soak Up Available Energy
In December 2025, FERC announced that PJM Interconnections’s tariff governing the colocation of generation with large loads like AI data centers was unjust due to unclear and inconsistent rates and terms.1 FERC directed PJM to create transparent, enforceable tariff rules for such arrangements and new transmission service options in order to protect consumers “by keeping electricity costs manageable.”2 Moving forward, FERC action can clarify that colocation policies not disproportionately ease barriers for such AI data center projects.
Enshrine the 2024 FERC Order
Enshrine the November 2024 FERC order,3 which determined that shifting existing generation away from the bulk power market to serve a data center is unjust and unreasonable.4
Mandate Load Flexibility Programs and Interconnection Requirements
Direct FERC to mandate load flexibility programs and forced curtailment procedures for data centers5 and update large-load interconnection requirements to prevent cascading outages.6
Compel the Collection and Publication of Energy-Use Data
Direct FERC and/or the U.S. Energy Information Administration (EIA) to compel the collection and publication of energy-use data by data centers, and compel FERC to require disclosure of when power sellers are affiliated with data centers.7
Note: Although disclosure of water consumption is also important for data center transparency, FERC does not have jurisdiction over water usage. This recommendation should also be accompanied with provisions that assign appropriate authority over water transparency metrics. For more details, see “Require Comprehensive Transparency Mechanisms and Monthly Reporting.”
Revise Cost-Allocation Methodologies
Direct FERC to mandate that regional transmission organizations (RTOs) such as PJM revise their transmission cost-allocation methodologies so that other customers are not subsidizing the construction of transmission lines that are needed solely to serve data centers.
Reject Nondisclosure Agreements in Utility and RTO Proceedings
The federal government should prohibit the use of nondisclosure agreements (NDAs) in utility and RTO proceedings. If that is not possible, condition eligibility for any preferential rate tariffs or access to interconnection queues on not employing nondisclosure agreements related to development deals.
Correct Misalignment Between Utility Incentive Structures and Public Interest
Direct FERC to undertake a systematic review of transmission incentive adders and to take other steps necessary to correct misalignment of utility incentive structures with the public interest to ensure that utilities are not overbuilding the transmission system in response to underscrutinized load growth projections.
Protect Against Overbuild
Direct FERC to maintain and regularly update a national database of proposed data centers, working closely with utility commissions and regional transmission operators to accurately forecast load increases, predict accurate infrastructure needs, and protect against overbuilds.8
- Federal Energy Regulatory Commission, “Fact Sheet: FERC Directs Nation’s Largest Grid Operator to Create New Rules to Embrace Innovation and Protect Consumers,” December 18, 2025, https://www.ferc.gov/news-events/news/fact-sheet-ferc-directs-nations-largest-grid-operator-create-new-rules-embrace. ↩︎
- Ibid. ↩︎
- PJM Interconnection, L.L.C., Order Rejecting Amendments to Interconnection Service Agreement, 189 FERC ¶ 61,078, November 1, 2024, https://www.ferc.gov/sites/default/files/2024-11/20241101-3061_ER24-2172-000.pdf. ↩︎
- Thanks to Public Citizen for this recommendation. See Deanna Noel and Meghan Pazik, “Reining in Big Tech: Policy Solutions to Address the Data Center Buildout,” Public Citizen, December 3, 2025, https://www.citizen.org/article/reining-in-big-tech-policy-solutions-to-address-the-data-center-buildout. ↩︎
- Ibid. ↩︎
- Matthew McHale and Hannah Wiseman, Nine Ways to Address the Energy Impacts of AI Data Centers, Vanderbilt Policy Accelerator, January 2026, https://cdn.vanderbilt.edu/vu-URL/wp-content/uploads/sites/412/2026/01/12211201/Nine-Ways-to-Address-the-Energy-Impacts-of-AI-Data-Centers.pdf. ↩︎
- Thanks to Public Citizen for this recommendation. ↩︎
- McHale and Wiseman, Nine Ways to Address the Energy Impacts of AI Data Centers. ↩︎
