Every NERC, IRS, NJ BPU, PJM, and utility tool you can buy today answers questions within its silo. The hard questions — the ones that decide whether you register, build, claim a credit, or survive an audit — sit between silos.
Each demo below is a real cross-domain question, walked through step by step. After every action, an inline note explains what the agent just did and why a single-silo tool would have missed it.
30 MW solar + 10 MW BESS at 69 kV — neither piece triggers IBR registration alone.
Most operators check NERC Cat 2 against the solar nameplate only. The aggregate rule (≥20 MVA at ≥60 kV at the common POI) catches DC-coupled hybrids that wouldn't trip on either component alone.
5 MW community solar + a 2 MW BESS adder — what changes across federal, state, RTO, and utility?
Adding storage to a community solar project is not just an engineering decision. It touches IRS §48E + FEOC, NJ SuSI program rules, NJ PWA, NJ SIP, PJM capacity participation, and the host utility tariff — simultaneously.
If FERC adopts Tranche 2 reliability standards in the proposed form, what changes for my fleet?
Most regulatory tools surface what's effective today. Operators need to forecast — which proposed rules touch which assets, and how big is the lift.
Lancaster Solar I is 100 MW at 138 kV in PA. What's the regulatory delta of adding a 50 MW BESS?
Investment committees ask 'what changes regulatorily?' as a yes/no. The reality is a list of new obligations, lost optionality, and stack-able revenues that vary by adder design.
We just got an audit notice. Pull the evidence checklist for our Cat 2 assets.
An audit notice is a pile of standards × requirements × evidence × assets. Producing the right matrix in 30 minutes is the difference between organized response and panic.