verifiedTranscribed from the utility's filed sheetOKLAHOMA GAS AND ELECTRIC COMPANY, STANDARD PRICING SCHEDULE R-1 RESIDENTIAL SERVICE, 5th Revised Sheet No. 3.00, State of Oklahoma
verifiedEffective date on the sheet: 2026-06-01
verifiedReconciles to a total the utility published itselfEIA Form 861, 2024, OG&E Oklahoma residential: $1,068,353 thousand of revenue on 9,067,611 MWh, an average of 11.782 c/kWh at 1,064 kWh per customer per month. Blended over a year at that usage this encoding gives 11.909
verifiedSource document checked daily for changes
excludedTaxes, franchise fees and local surchargesJurisdiction-specific, so they are deliberately not encoded. A bill will be higher than this figure by that amount.
Energy rates
Period
Applies to
$/kWh
period 1
all usage
$0.11546
period 2
all usage
$0.10074
What this figure does and does not include
Transcription notes recorded when this tariff was encoded, including anything deliberately left out.
BUNDLED. Oklahoma has no retail choice, so this one rate is energy, delivery and everything else - there is no Price to Compare to strip out and no shopping customer paying a different total.
SEASONAL, BY REVENUE MONTH. Summer is the five OG&E Revenue Months of June through October at 11.5458c/kWh; winter is the seven of November through May at 10.0737c/kWh. The base sheet and the fuel rider define the seasons identically, which is stated on both rather than assumed across them.
THE FUEL ADJUSTMENT IS SERVICE LEVEL 5, AND THE TARIFF NEVER SAYS SO. The factors are published in five unlabelled columns. SL5 was identified from three places that agree: it carries the highest loss factor (1.08468, so the lowest delivery voltage), it accounts for 17.81 of 30.81 billion Oklahoma retail kWh in the storm rider's own appendix (the secondary class), and it reproduces EIA's published average revenue per kWh where SL1 misses by 1.1c. Taking column one would have understated summer fuel by 1.4c/kWh.
THE WINTER FUEL FACTOR IS LABELLED FOR A WINTER THAT HAS PASSED. The 17th Revised Sheet 50.85, currently in force, prints its winter row as 'Jan-May' 2026. It is the filed winter factor and has not moved - the previous sheet carried the identical value for November and December 2025 - but the relabelled sheet for November 2026 onward is not filed yet. Winter bills computed here use the factor on file.
NINE RIDERS ARE NOT INCLUDED. The base sheet says only 'All applicable riders apply' with no matrix, so applicability lives in each rider's own text: 50.10 LIAP, 50.30-50.32 GPWR, 51.00 APUAF, 51.10 APUAF, 51.30-51.37 LR, 52.10-52.17 TC, 52.20-52.23 RTC, 52.70-52.73 EEP, 54.00-54.02 EDIC. Three were read and are in the rate (fuel, storm cost recovery, and the interim rate rider at zero). The rest are not, so this rate is short of a full bill by whatever they come to - measured against EIA's average, under 1.2%.
THE MUNICIPAL FRANCHISE FEE IS NOT APPLIED. The sheet says the rates 'do not include any amount for franchise payments levied upon the Company by a municipality', added as a percentage of charges for customers inside a municipality that levies one. It is location-dependent, not a rate, and applying it to everyone would overstate every bill outside those city limits.
ARKANSAS IS NOT ENCODED. OG&E is one EIA company across two states and two commissions; this is Oklahoma only, 92.4% of its 768,341 residential consumers. The Arkansas 7.6% is served a different, tiered tariff under the Arkansas PSC and is not here.
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Change history
The source document is fetched daily and every version is kept.
Utilities do not publish superseded rates, so this record does not exist
elsewhere once a rate changes.
No changes detected since monitoring began. The source sheet is checked daily.