Georgia Public Service Commission Approves Georgia Power’s Major Generation Expansion To Support Data Center Load
Georgia Power’s 2025 IRP, filed in January and approved in July 2025, projects extraordinary electric demand growth over the next decade, driven largely by data center expansion. The 2025 IRP outlines how the company expects to meet these needs through investments in generation and transmission, including continued integration of renewables and storage resources.
To address projected capacity needs in the 2027/28 through 2030/31 time period, Georgia Power sought PSC certification for approximately 9,885 MW of new resources, about two-thirds of which is comprised of natural gas-fired units, with the rest a blend of battery energy storage systems (BESS) and BESS paired with renewable resources. Georgia Power sought certification for a mix of power purchase agreements (including with its affiliate, Southern Power Company) and Georgia Power-owned resources, all sourced through an “all-source” competitive procurement process.[2]
On December 10, 2025, Georgia Power and PSC Public Interest Advocacy Staff executed a stipulated agreement (Stipulation) outlining terms for certifying all requested capacity, with conditions designed to mitigate customer risk.[3] Importantly, these terms require Georgia Power to:
The PSC adopted this agreement on December 19, 2025, authorizing Georgia Power to proceed with procurement and construction for 9,885 MW of new generation capacity.[4]
The record before the PSC demonstrated significant concern among PSC staff and ratepayer advocates regarding the durability of Georgia Power’s load forecasts and the associated risk of stranded costs should the forecasted large loads not materialize. Georgia Power’s filings indicated that executed large-load contracts had increased but still represented a relatively small portion of the total projected demand, raising questions about the degree of speculation in the load forecast and the risks of certifying nearly 10 GW of new capacity on this basis.[5] PSC staff filings and hearing testimony warned that much of the requested capacity was driven by speculative load forecasts, based on a pipeline of prospective large customers rather than fully executed contracts, and that over-forecasting could lead to stranded costs from unnecessary generation assets if data center demand does not materialize. Staff recommended certifying a smaller fraction of new capacity (e.g., 30%-40% of the request) and relying more on PPAs rather than utility-owned generation to manage this risk, noting that only a minority of the proposed capacity was supported by executed contracts.[6] These concerns formed the backbone of the contested proceedings and likely shaped the risk-mitigation conditions ultimately embedded in the Stipulation.
Similarly, consumer advocates objected to the scope of the stipulated agreement, arguing that overbuilding could expose residential customers to significant costs if data center demand does not materialize, based on some estimates that suggest that overbuilding could raise rates by approximately $3.4 billion, or about $20 per month per household, absent mitigation.[7] Environmental advocates also criticized the proposal’s reliance on new methane gas units, contending that fossil fuel additions from methane-gas-powered plants undermine climate and public health goals and risk locking in emissions for decades—even as “downward pressure” on bills is temporary and not guaranteed beyond 2031.[8] Broadly, opposition in Georgia is driven by concerns about rate increases, environmental impact, transparency, and how future energy costs and risks are allocated.
The PSC’s vote occurred shortly before newly elected commissioners—who had expressed concerns about the plan’s scope and consumer protections—were scheduled to take office. This timing has been criticized by opponents, who called for a delay to allow broader review, highlighting ongoing tensions around energy policy, rate impacts, and regulatory process.
Georgia Power’s approved generation expansion marks a significant regulatory development in response to surging data center demand. While the stipulated agreement includes measures to protect ratepayers, concerns remain regarding forecast reliability, cost allocation, and environmental impacts. Stakeholders should closely monitor the implementation of these projects, the development of load flexibility programs, the impact on customer rates, and potential legal challenges as Georgia’s electricity landscape continues to evolve.
Endnotes
[1] Order Adopting Stipulation and Granting Order Certification of Capacity from the 2029-2031 All-Source RFP and Supplemental Resources for 2028-2031 Capacity) (Dec. 19, 2025) (Final Order), Docket Nos. 56298 (In Re: Georgia Power Company’s Application for the Certification of Capacity from the 2029-2031 All-Source RFP) and 56310 (In Re: Georgia Power Company’s Application for the Certification of Supplemental Resources for 2028-2031 Capacity) (Dec. 19, 2025); Georgia PSC Commissioners Approve Agreement for New Power Infrastructure; see also Georgia PSC approves plan to deliver savings for electric customers, meet energy demands of a growing state.
[2] Georgia Power Company’s Application for the Certification of the All-Source Capacity Power Purchase Agreements and Company-Owned Proposals and Application for the Certification of Supplemental Resources for 2028-2031 Capacity (collectively All-Source Certification Proceeding), Document Filing #223493 and Document Filing #223492 (July 30, 2025).
[3] All Source Certification Stipulation, Docket Nos. 56298 and 56310 (Dec. 10, 2025).
[4] Final Order, Docket Nos. 56298 and 56310 (Dec. 19. 2025). The approved portfolio includes: Company-Owned Projects: 7,065 MW of new resources, including nine standalone BESS projects, two solar-plus-BESS projects, and three combined cycle (CC) units (Bowen Units 7-8, Wansley Units 10-11, McIntosh Unit 12); Power Purchase Agreements: 2,821 MW from a combination of thermal and BESS PPAs, including contracts with NextEra Energy Resources and Tenaska, as well as amendments to existing agreements; Supplemental Resources: Five BESS PPAs paired with existing solar facilities, a new BESS project, and additional thermal capacity.
[5] Rebuttal Testimony of PSC PIA Staff (Nov. 2025) Docket Nos. 56298 & 56310.
[6] Direct Testimony of Robert L. Trokey. In re: Georgia Power Company’s Application for the Certification of Capacity from the 2029–2031 All-Source RFP, Dkt. No. 56298 & In re: Georgia Power Company’s Application for the Certification of Capacity Supplemental Resources, Dkt. No. 56310. Document Filing #224483. 12 Nov. 2025. p.4.
[7] Georgia PIRG Comments Opposing Stipulation. Dec. 2025, Docket No. 56310.
[8] Post-Hearing Brief of Southern Alliance for Clean Energy (SACE) and Sierra Club, Docket Nos. 56298 & 56310 (Dec. 16, 2025); PSC Staff reverses course on data center concerns, endorses Georgia Power’s fossil fuel reliant plan, Southern Environmental Law Center (Dec. 10, 2025).
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Originally published before the Ashurst Perkins Coie combination. See disclaimer.