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<title>REGULATION OF RENEWABLE ENERGY TARIFF IN THE NIGERIAN ELECTRICITY SUPPLY INDUSTRY</title>
<link>http://hdl.handle.net/123456789/2102</link>
<description/>
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<dc:date>2026-04-06T22:58:34Z</dc:date>
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<item rdf:about="http://hdl.handle.net/123456789/2103">
<title>REGULATION OF RENEWABLE ENERGY TARIFF IN THE NIGERIAN ELECTRICITY SUPPLY INDUSTRY</title>
<link>http://hdl.handle.net/123456789/2103</link>
<description>REGULATION OF RENEWABLE ENERGY TARIFF IN THE NIGERIAN ELECTRICITY SUPPLY INDUSTRY
AKPODIETE, Edoja Rufus
Nigeria depends on fossil fuel-based source of electricity. Despite abundant renewable energy&#13;
resources endowment, it has failed to harness and deploy that into the national grid for&#13;
boosting electricity generation and the country achieving the target energy-mix in the power&#13;
sector. The Nigerian Electricity Regulatory Commission (NERC) issued Regulations on FeedIn Tariff (REFIT) for Renewable Energy Sourced Electricity in 2015, pursuant to which 13&#13;
Power Purchase Agreements (PPA) were executed in 2016. Notwithstanding the intendment&#13;
of the government policies, the REFIT and the PPAs have not materialised. Existing studies&#13;
on the REFIT 2015 have not examined the legal issues responsible for the non-implementation&#13;
of the 13 PPAs. This study therefore, examined the legal and contractual framework for&#13;
REFIT in Nigeria.&#13;
Public Interest Theory provided the framework, while doctrinal and qualitative methods were&#13;
adopted. Primary data were obtained from the Constitution of the Federal Republic of Nigeria&#13;
1999 (Sections 12, 14 and 16), Electric Power Sector Reform Act (EPSRA) 2005, REFIT&#13;
Regulation 2015, NERC Multi Year Tariff Order 2008 and 2012 and the PPAs. Key informant&#13;
interviews were conducted with two of officials of NERC (Manager Legal and Licencing&#13;
Unit), and one each of Nigerian Bulk Electricity Trading Company (General Counsel) and the&#13;
Independent Power Producers (IPPs) (Legal Officer, Anjeen Solar). Legal analyses were&#13;
drawn from the Constitution and the EPSRA, while a narrative approach based on the&#13;
thematic area of renewable electricity was used to analyse the qualitative data. Data were&#13;
subjected to content and jurisprudential analysis.&#13;
The Nigerian Electricity Regulatory Commission made the REFIT 2015 pursuant to Sections&#13;
32 and 96 EPSRA, which set out a renewable energy on-grid electricity target of 2000MW by&#13;
2020. However, the legal issues in the execution and implementation of the policy, regulatory&#13;
and contractual framework have affected the deployment of renewable energy technology for&#13;
on-grid electricity. Although 13 PPAs were executed by NBET and the IPPs for the&#13;
development of 13 solar power plants, Clause 1 of the PPAs enjoined parties to execute&#13;
necessary financial documents, such as Put-Call-Options Agreements (PCOAs) and Partial&#13;
Risk Guarantee Agreements (PRGA) and required approvals obtained before the PPAs could&#13;
be enforced. The Federal Government refused to execute the PCOAs with the IPPs, due to&#13;
disputes regarding the applicable tariff. The PCOAs were later signed for two PPAs, but the&#13;
requisite approval was not obtained from the Attorney General of the Federation. International&#13;
Financial Institutions also reneged on executing the PRGA due to the liquidity crisis in the&#13;
power sector. The foregoing prevented the PPAs from reaching financial closure. As a result,&#13;
investors were discouraged from investing in renewable electricity technology in Nigeria.&#13;
The efforts of Nigerian government to boost electricity generation and achieve the target&#13;
energy-mix and tariff structure have not been realised due to the regulatory impediments that&#13;
have made it impossible to implement the 13 PPAs. Government agencies should honour&#13;
contractual obligation and comply with established regulations.
</description>
<dc:date>2023-08-01T00:00:00Z</dc:date>
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