Read the submission here
In its submission to the Australian Energy Market Commission, SACOSS highlights serious concerns with the proposed National Energy Retail Amendment (Improving Life Support Processes) Rule 2025. SACOSS argues that the changes could increase risks for people relying on life support equipment by narrowing eligibility, creating unnecessary re-registration requirements, and shifting responsibilities onto vulnerable consumers and their medical practitioners. Instead, SACOSS calls for stronger compliance with existing obligations, improved business processes, and the prioritisation of consumer safety above cost-efficiency.