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Environmental Claims

Related Resources
  • Green Power Partnership: Guide to Making Claims About Your Solar Power Use (pdf) (203.39 KB)
  • Federal Trade Commission: Part 260– Guides for the use of Environmental Marketing Claims aka Green Marketing Guidelines (pdf)
  • National Association of Attorneys General (NAAG): Environmental Marketing Guidelines for Electricity (pdf)
  • NREL: Renewable Electricity: How Do You Know You Are Using It? (pdf)
  • Vermont Attorney General's Office: Guidance for Third-Party Solar Projects (pdf)
  • WRI Report: Describing Purchaser Impact in U.S. Voluntary Renewable Energy Markets (pdf) (692.68 KB)

Organizations that voluntarily buy green power generally do so to make a claim (express or implied) that they are using zero-emission electricity.

Organizations should consider the following when making green power use claims:

  • Ensure their contractual right to make claims. Organizations should ensure that their green power purchase contractually conveys the full rights to the environmental benefits of the generation source. In the United States, this is generally substantiated through the conveyance and ownership of renewable energy certificates (RECs). Organizations must retain these rights in order to make an environmental claim. This includes power purchase agreement (PPA) and leased system contracts where the system is owned and operated by a third party.
  • Ensure that their purchase does not count toward a mandate. Buyers of retail RECs or bundled green power products should ensure that their supplier is not also applying the underlying attributes and environmental benefits to a mandate (e.g., a state renewable energy portfolio standard [RPS]). Such a situation would constitute a double claim between the organization and its supplier.
  • Make claims that match the scope of their purchase. If the organization is buying green power for only a subset of their organizational needs (i.e., facility-level), it should communicate the scope of the purchase when making the claims.
  • Avoid making claims where green power purchases originate from projects in markets outside of where the green power will be applied. Corporate scope 2 greenhouse gas guidance recommends that green power come from the same market in which the organization’s operational use of electricity occurs. The United States is considered a single electricity market; thus, green power applied to U.S. operations should be sourced from U.S. interconnected projects.
  • Retain ownership of RECs for on-site green power. If the organization owns an on-site renewable electricity generation source, then it should avoid selling the associated RECs of the on-site source if it wishes to make an environmental claim. Selling the RECs transfers the claim on the renewable attributes of the system to the buyer of the RECs. If the system is developed through a third-party ownership structure (e.g., power purchase agreement or lease), the organization should ensure that the contract conveys the ownership of the associated RECs to the organization. Alternatively,  Renewable Energy Certificate (REC) Arbitrage (pdf) (363.53 KB)  may be an option to lower the cost of the procurement while still allowing the buyer to make a green power use claim.
  • Retire the RECs associated with their green power purchase. Organizations should retire the RECs associated with their green power purchase. Organizations should not transfer or sell RECs after a claim has been made. Making a claim constitutes a retirement of the REC; any sale or claim by a different owner would constitute a double claim. Taking these steps helps avoid two different parties claiming the same green power benefits. Formal REC retirement mechanisms exist for RECs issued by tracking systems. Organizations can ask their supplier about REC retirement options on their behalf.
  • Support claims by buying certified or verified green power products. Organizations should consider buying green power products that are independently certified and verified by a third party. Certification can provide credibility and confirmation of the product's environmental value. Verification is based on an audit—independent of the provider—that confirms that the buyer gets what was promised, both in quality and in quantity. Audits ensure that no one else is making a claim on the same environmental benefits.
  • Limit claims to indirect emissions. Organizations should be careful when making claims about emissions reductions. If buying renewable electricity or RECs, an organization is reducing its indirect emissions. Indirect emissions are those resulting from electricity generation that an organization buys from an electricity service provider. EPA advises organizations buying green power to limit their claims to reducing their carbon footprint—and not to claim to be reducing their total emissions to the atmosphere.
  • Avoid claiming emissions reductions not included in the purchase. In emissions markets regulated by cap-and-trade programs, such as with nitrogen oxides (NOx) and sulfur oxides (SOx), an organization can claim an emission reduction only if it buys and retires emission allowances. These allowances may be a part of, or separate from, buying RECs.
  • Use the terms "REC" and "offset" correctly in your claims. RECs are not offsets. The term "offsets" has various definitions among greenhouse gas registries and programs. In voluntary markets, offsets are emissions reductions that are achieved through projects that cause verifiable emissions reductions outside the scope of an organization's direct or indirect emissions. In regulated cap-and-trade programs, offsets can have a specific legal meaning as a noun. For more on the differences between RECs and Offsets, see Offsets and RECs: What's the Difference? (pdf) (1.06 MB)
  • Remember that RECs substantiate the claim of using a specific number of megawatt-hours of renewable electricity from a zero-emissions renewable resource. REC-based green power products do not convey a direct emissions reduction. Abstain from making claims related to avoided or direct emissions reductions, which are not conveyed through REC-based green power purchases.
  • Follow Federal Trade Commission (pdf) and National Association of Attorneys General green marketing guidance. These guides apply to environmental claims included in labeling, advertising, promotional materials and all other forms of marketing, whether asserted directly or implied through words, symbols, emblems, logos, depictions, product brand names, or any other means. This includes marketing through digital or electronic means, such as the Internet or electronic mail. The guides apply to “any claim about the environmental attributes of a product, package, or service in connection with the sale, offering for sale, or marketing of such product, package, or service for personal, family, or household use, or for commercial, institutional, or industrial use.”

Partner organizations are encouraged to contact their Green Power Partnership account manager for assistance when making voluntary green power claims.

For more information on making solar power use claims, see the  Guide to Making Claims About Your Solar Power Use (pdf) (203.39 KB)  for examples of acceptable claims.

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Last updated on February 4, 2025
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