IRVINE, Calif., April 2, 2025 /PRNewswire/ — Presale renovations are emerging as a crucial strategy for the real estate industry, transforming how properties are presented and sold in today’s tech-enabled housing market. Upgrading properties before they are listed has historically been…
Month: April 2025
PLANO, Texas, April 2, 2025 /PRNewswire/ — RevolvIQ, a leader in AI-driven business automation, is transforming enterprise operations with its flagship solutions—TestScriptR and SolvYa AI. These cutting-edge products are designed to enhance software testing, streamline IT support, and…
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A purposeful partnership generating renewable energy and nutrient-rich compost to support local food production CHICAGO, April 2, 2025 /PRNewswire/ — Green Era Campus and Mariano’s are celebrating 1 million pounds of food waste recycled into renewable energy and nutrient-rich compost….
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International accreditation body The DaVinci Awards® identifies best businesses, products and services NEW YORK and LONDON, April 2, 2025 /PRNewswire/ — A new global business awards program inspired by Leonardo Da Vinci launches today. Accepting entries internationally, The DaVinci…
- Various incentives offered for residential and business customers through the Charger Prep Credit, Off-Peak Charging Credit and Fleet Advisory programs
ST. PETERSBURG, Fla., April 2, 2025 /3BL/ – Duke Energy Florida announced the launch of three new programs – the Charger Prep Credit, Off-Peak Charging Credit and Fleet Advisory programs – to offer both residential and business customers more choices related to electric vehicles (EVs).
“Not only do EVs help save on fuel and maintenance costs for drivers, but they have significant economic and environmental benefits as well,” said Melissa Seixas, Duke Energy Florida state president. “Our goal with these programs and the various incentives they offer is to make EVs more accessible for all of our customers, helping meet their individual needs, while contributing to the ongoing energy transition.”
Charger Prep Credit Program (Residential and Business Customers)
Through the Charger Prep Credit program, both residential and business customers can receive a one-time credit to defray the cost of installing EV charging infrastructure, including new electric plug-in outlets, electrical wiring improvements and other electrical upgrades required to support Level 2 or higher EV chargers. However, it does not apply to the charging station hardware and software (if needed), as well as permit fees. For more information, please click here (for residential customers) or here (for business customers).
Off-Peak Charging Credit Program (Residential Customers Only)
The Off-Peak Charging Credit program allows residential customers to get paid for charging their EVs during times when demand for energy is typically lower. Eligible customers using a Level 2 charger can earn a $7.50 credit on their monthly electric bills for charging their EVs during these off-peak hours – 10 a.m. to 6 p.m. and 11 p.m. to 5 a.m. Monday through Friday and anytime on weekends and holidays. It originally began as a pilot (reaching its threshold of 3,000 active participants while maintaining a lengthy waitlist) and is now a permanent offering without an enrollment limit. For more information, please click here.
Fleet Advisory Program (Business Customers Only)
By participating in the Fleet Advisory program, business customers can receive up to $12,000 to offset the cost of completing a fleet electrification study to assess the benefits of switching their fleet vehicles to EVs. The goal is for businesses to learn how to reduce their carbon footprint, while also discovering how EVs can lower their operating costs and improve overall efficiency. To qualify, a customer’s fleet must include 20 or more light-duty vehicles, five or more medium/heavy-duty vehicles, or a combination of 10 or more light-duty and/or medium/heavy-duty vehicles. For more information, please click here.
Duke Energy Florida
Duke Energy Florida, a subsidiary of Duke Energy, owns 12,300 megawatts of energy capacity, supplying electricity to 2 million residential, commercial and industrial customers across a 13,000-square-mile service area in Florida.
Duke Energy
Duke Energy (NYSE: DUK), a Fortune 150 company headquartered in Charlotte, N.C., is one of America’s largest energy holding companies. The company’s electric utilities serve 8.4 million customers in North Carolina, South Carolina, Florida, Indiana, Ohio and Kentucky, and collectively own 54,800 megawatts of energy capacity. Its natural gas utilities serve 1.7 million customers in North Carolina, South Carolina, Tennessee, Ohio and Kentucky.
Duke Energy is executing an ambitious energy transition, keeping customer reliability and value at the forefront as it builds a smarter energy future. The company is investing in major electric grid upgrades and cleaner generation, including natural gas, nuclear, renewables and energy storage.
More information is available at duke-energy.com and the Duke Energy News Center. Follow Duke Energy on X, LinkedIn, Instagram and Facebook, and visit illumination for stories about the people and innovations powering our energy transition.
Contact: Aly Raschid
24-Hour: 800.559.3853
X: @DE_AlyRaschid
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Since the Strengthening Organic Enforcement (SOE) Final Rule took effect under the National Organic Program (NOP) in March 2024, entities across the organic industry have undergone major operational shifts to achieve and maintain compliance with the updated organic regulations. These updates have increased rigor at all levels of the supply chain and bolstered trust in the organic label, with perhaps the most impactful change being the requirement of mandatory certification for organic importers and exporters. And while the SOE Final Rule will drive lasting positive change, some organic supply chains are experiencing a difficult transformation if they are unable to import organic products into the US.
In this blog, SCS Global Services’ organic program experts will answer some of the most important questions related to the ongoing challenges facing organic importers. Plus, we’ll talk about what SOE means for importers who happen to be uncertified at this time. By discussing essential elements, definitions, and expectations of the SOE Final Rule, we’ll equip you with everything you need to mobilize your company’s certification process under SOE — even if you are currently uncertified.
What is an organic importer?
Under SOE, an organic importer is defined as the operation responsible for accepting imported organic agricultural products within the United States. This role ensures NOP Import Certificate data are entered into the U.S. Customs and Border Protection import system of record.
How is an exporter different from an importer?
An exporter is defined as the final certified exporter of the organic agricultural product that facilitates the trade of, consigns, or arranges for the transportation or shipping of the organic agricultural product from a foreign country to the United States. An exporter is the entity that initiates the paperwork (NOP Import Certificate) that notifies United States Customs and Border Patrol of the incoming shipment of organic products through the importer.
What is an NOP Import Certificate?
An NOP Import Certificate is issued to the organic exporter by its certification body (CB), which verifies the organic status of the product contained in the shipment. NOP Import Certificates must be submitted by the importer to the United States Customs and Border Protection import system of record for all imported products regardless of origin. These certificates can be issued electronically by the exporter’s certifier using the Organic Integrity Database (OID), which means the certificate is issued upon exportation from the country of origin and not upon entry (import) to the destination country. These certificates may be issued for a single shipment or multiple shipments over a defined timeframe, up to a verified volume.
NOP Import Certificates include a review of the audit trail to verify organic status of the product exported to the United States. The certificate must include the following information:
- Country of origin
- Destination country
- Name of issuing certifier
- Harmonized System (HS) code(s)
- Total weight of product
- 10-digit exporter ID
- Unique numerical identifier
What is the process to issue an NOP Import Certificate?
While some variations in process may occur depending on the specific exporting country and organic entity, the issuance of an NOP Import Certificate generally follows these steps:
- The exporter initiates NOP Import Certificate request with their organic certification body.
- Certifier of exporter verifies the shipment and issues certificate.
- Exporter provides NOP Import Certificate to US importer.
- Importer or customs broker enters data into the Customs and Border Protection’s Automated Control Environment (ACE) System.
- Product arrives at port of entry — this is where the shipment is accepted into the United States.
- Importer verifies that the products received match the data provided on the certificate.
- Certifier of importer audits accepted volumes of product.
- NOP accesses CBP data to monitor for fraudulent activity.
What are the major impacts of SOE for organic importers?
SOE impacts organic importers in multiple, significant ways. For example, not only do importers and exporters of organic products have to be certified, but they must work directly with a USDA-accredited certifying agent. Like all certified organic entities, importers must also develop an Organic System Plan (OSP), part of which is the mandatory Organic Fraud Prevention Plan (OFPP). Once established, the OSP must undergo an annual compliance audit. Additionally, NOP Import Certificates are required for all products being shipped to the United States. The stakes for complying with SOE are high: Shipments without proper documentation may be rejected at ports of entry, causing significant disruption along the organic supply chain.
What happens if I am an uncertified importer of organic products?
Major disruptions can occur if an uncertified entity attempts to import organic products into the United States. Such disruptions mean that organic products cannot obtain customs clearance at the US border, and importers are prohibited from transacting organic products until they are certified, which can translate into serious business complications and even mandatory cessation of the ability to conduct business within the organic industry.
Under the SOE Final Rule, all organic entities are expected to have a baseline familiarity with the NOP regulations, the audit process and cycle, as well as a deeper understanding of traceability, identity preservation, and organic fraud prevention.
If these concepts and terms are unfamiliar to you, we encourage you to contact our experts as soon as possible. We can help uncertified importers of organic products better understand, prepare for, and earn organic certification under SOE.
Are there any exemptions under the new SOE?
Exemptions from SOE certification are now extremely limited, but some do exist. The following entities are considered exempt under SOE: Entities with gross sales under $5,000 annually, those handling products that contain less than 70% organic ingredients, distributors who only transact retail products in tamper-evident packaging, warehouses that store or prepare shipment products in tamper-evident packaging, and certain operations such as transportation companies, customs and logistics brokers, and some retail operations.
It’s important to note, though, that record keeping is mandatory even for entities that are exempt from SOE.
What should I do if I’m operating as an uncertified importer?
If you are currently uncertified, you should make plans to earn certification as soon as possible. Because enforcement for SOE is underway, every day that you operate without organic certification poses serious risks to your business.
The only means of earning certification is to work directly with an organic certification body. If you are involved in the trade of organic products, we recommend reaching out to our experts at SCS Global Services.
We’ve served as the preeminent certification body for the National Organic Program since 2000 and we encourage any importers in need of certification or support navigating and adapting workflows to remain compliant with SOE regulations to get in touch with us. At SCS, we are proud to act not only as a helpful source of knowledge and insight into all the technicalities of these important SOE updates, but also as a strategic partner helping companies navigate the often stressful and exhausting realities associated with inadvertently missing the implementation deadline for SOE.
Where can I learn more about organic importers and SOE?
In case you missed our SOE blog series last year, be sure to review these essential articles:
- Strengthening Organic Enforcement (SOE) Summary: Top Seven Changes to Watch as 2024 Deadline Nears
- Strengthening Organic Enforcement (SOE) – Top 8 Questions about Uncertified Operations and Missing the March 19, 2024 Deadline
- SOE Organic Fraud Prevention – What Every Business Needs to Know
Our webinar replay, Understanding the USDA’s New Strengthening Organic Enforcement Rule, offers a high-level overview of SOE and what to expect.
Companies can also turn to a number of resources to learn more, including the full summary of the Organic Trade Association’s SOE final rule, the Federal Register’s formal communications about the SOE amendment, and an official side-by-side comparison of the original organic program regulatory language and the new SOE rule.
If you think you’d benefit from dedicated, one-on-one expert support, please contact Ned Halaby at nhalaby@scsglobalservices.com or call +1.510.993.0235.
In this latest blog, Lindsay Wright, Director, Communications and Strategic Partnerships, Better Buying, explains why supplier participation in the Better Buying ratings cycle is essential to amplifying their voices and driving improvements in purchasing practices. Wright highlights how the data and insights gathered not only help buyers understand the impact of their practices on suppliers but also empowers suppliers with valuable knowledge to strengthen their own business relationships.
Read the full blog, titled: Why Should Suppliers Participate in Better Buying’s Rating Cycle?
New Documentary explores Frank Lucas, Black Gangster Lore, and the True Cost of Power NEW YORK, April 2, 2025 /PRNewswire/ — The name Frank Lucas is legend—kingpin, hustler, mastermind. Harlem’s most infamous drug lord built an empire on “Blue Magic,” smuggling uncut heroin from…