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Regulator Approves 7 Agreed Orders With Retail Suppliers Which Include Penalties Up To $46,000 For Alleged Failure To File Various Reports
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The Illinois Commerce Commission adopted agreed orders between various retail electric suppliers and ICC Staff requiring the suppliers to make various agreed payments for alleged failure to file various reports or other filings, as described below
The payments are generally 50% lower than an initially proposed fine from Staff for each supplier, reflecting that the suppliers have since come into compliance with the relevant obligations. Certain agreed payments were lower than 50% of the Staff's originally proposed amount due to supplier demonstrations that certain of the alleged non-filed reports were, in fact, filed. Certain agreed penalties were, as a starting point, set at 50% of the amount originally proposed Staff, plus, for a limited number of specific reports, the full proposed penalty amount for such specific reports, due to the supplier coming into compliance with respect to the specific reports beyond a 30-day compliance window set forth in an initiating order to show cause (with most of the reports meeting the 30-day deadline, and with all reports ultimately filed)
Titan Gas, LLC d/b/a Cleansky Energy is to pay $46,500 for alleged failure to file (1) Annual Compliance Certification Reports due on April 30, 2022 and on April 30, 2023 in accordance with 83 Ill. Adm. Code 451.710; (2) an Annual Rate Report due June 30, 2024 in accordance with Section 16-115A(a)(iii) of the Public Utilities Act (the "Act") (3) Annual Reports of Compliance with the Retail Charge Provisions of the Renewable Energy Portfolio Standard due by September 1, 2022, September 1, 2023, and September 1, 2024 in accordance with 83 Ill. Adm. Code 455.125; (4) Call Center Information Reports due by March 1, 2022, and March 1, 2023; (5) a Net Metering Report due April 1, 2022 in accordance with 83 Ill. Adm. Code 465.40; (6) a Designated Agent Form due by January 31, 2022, in accordance with 83 Ill. Adm. Code 215.10; and (7) Environmental Disclosure Statements due in January 2022, April 2022, and October 2022 in accordance with 83 Ill. Adm. Code 421.30. Docket 26-0175
Greenlight Energy Inc. is to pay $44,750 for alleged failure to file (1) Annual Compliance Certification Reports due April 30, 2022, and April 30, 2023, in accordance with 83 Ill. Adm. Code 451.710; (2) an Annual Rate Report due June 30, 2022, in accordance with Section 16-115A(a)(iii) of the Public Utilities Act ('Act'); (3) Annual Reports of Compliance with the Retail Charge Provisions of the Renewable Energy Portfolio Standard due by September 1, 2022, September 1, 2023, and September 1, 2024, in accordance with 83 Ill. Adm. Code 455.125; (4) Company Call Center Information Reports due by March 1, 2022, March 1, 2023, and March 1, 2024, in accordance with 83 Ill. Adm. Code 410.45; (5) Net Metering Reports due by April 1, 2022, April 1, 2023, and April 1, 2024, in accordance with 83 Ill. Adm. Code 465.40; (6) Designated Agent Forms due by January 31, 2022, and January 31, 2023, in accordance with 83 Ill. Adm. Code 215.10; and (7) Environmental Disclosure Statements which should have been filed in January 2022, April 2022, July 2022, and October 2022 in accordance with 83 Ill. Adm. Code 421.30. Docket 26-0174
Alpha Gas & Electric, LLC is to pay $30,250 for alleged failure to file (1) Annual Compliance Certification Reports due on April 30, 2023 and on April 30, 2024 in accordance with 83 Ill. Adm. Code 451.710; (2) Call Center Information Reports due by March 1, 2022, March 1, 2023, and March 1, 2024; (3) Net Metering Reports due by April 1, 2023, and April 1, 2024 in accordance with 83 Ill. Adm. Code 465.40; (4) Designated Agent Forms due by January 31, 2023, and January 31, 2024 in accordance with 83 Ill. Adm. Code 215.10; and (5) Environmental Disclosure Statements due in January 2023, April 2023, and October 2023 in accordance with 83 Ill. Adm. Code 421.30. Docket 26-0178
North American Power and Gas, LLC is to pay $29,500 for alleged failure to file (1) Annual Compliance Certification Reports in accordance with 83 Ill. Adm. Code 451.710, due on or before April 30, 2022, and on or before April 30, 2023; (2) an Annual Compliance with Retail Charge Provisions of the Renewable Energy Portfolio Standard ("REPS Report") in accordance with 83 Ill. Adm. Code 455.125, due on or before September 1, 2022; (3) Call Center Information Reports in accordance with 83 Ill. Adm. Code 410.45, due on or before March 1, 2022, and on or before March 1, 2024; (4) Net Metering Reports in accordance with 83 Ill. Adm. Code 465.40, due on or before April 1, 2023, and on or before April 1, 2024; (5) a Kilowatt-hour Report in accordance with 83 Ill. Adm. Code 451.770, due on or before March 1, 2022,; and (6) Quarterly Environmental Disclosure Statements in accordance with 83 Ill. Adm. Code 421.30, due January 2022, April 2022, July 2022, and October 2022. North American Power and Gas maintained and offered evidence that it timely filed 6 of the reports at issue, and further stated that North American Power believes that all of the reports cited by Staff were timely filed, though North American Power was unable to produce evidence demonstrating filing for some of the reports. Docket 26-0176
Champion Energy, LLC is to pay $19,500 for alleged failure to file (1) Annual Compliance Certification Reports in accordance with 83 Ill. Adm. Code 451.710, due on or before April 30, 2022, and on or before April 30, 2023; (2) a Call Center Information Report in accordance with 83 Ill. Adm. Code 410.45, due on or before March 1, 2022 (3) a Kilowatt-hour Report in accordance with 83 Ill. Adm. Code 451.770, due on or before March 1, 2022, and (4) Quarterly Environmental Disclosure Statements in accordance with 83 Ill. Adm. Code 421.30, due January 2022, April 2022, July 2022, and October 2022. Champion maintained that it had timely filed 3 of the reports at issue. Docket 26-0180
Park Power, LLC is to pay $17,750 for alleged failure to file (1) an Annual Compliance Certification Report due April 30, 2023, in accordance with 83 Ill. Adm. Code 451.710; (2) an Annual Rate Report due June 30, 2022, in accordance with Section 16-115A(a)(iii) of the Public Utilities Act ("Act"); (3) a Company Call Center Information Report due by March 1, 2022, in accordance with 83 Ill. Adm. Code 410.45; (4) Net Metering Reports due April 1, 2022, and April 1, 2023, in accordance with 83 Ill. Adm. Code 465.40; (5) a Designated Agent Form due by January 31, 2022, in accordance with 83 Ill. Adm. Code 215.10; and (6) an Environmental Disclosure Statement which should have been filed in October 2021 in accordance with 83 Ill. Adm. Code 421.30. Docket 26-0182
South Bay Energy Corporation is to pay $15,000 for alleged failure to file: (1) Annual Company Call Center Information Reports in accordance with 83 Ill. Adm. Code 410.45, due on or before by March 1, 2022, March 1, 2023, and March 1, 2024; and (2) Net Metering Reports required by 83 Ill. Adm. Code 465.40 due by April 1, 2022, April 1, 2023, and April 1, 2024. Regarding other reports originally alleged by Staff to have not been filed, South Bay submitted an affidavit, as part of its answer to the ICC, attesting that the allegedly non-filed Designated Agent Form and the Environmental Disclosure Statements had been submitted to the ICC Chief Clerk’s Office by the original deadlines. Upon review, ICC Staff did not dispute that these reports were filed, but Staff described these reports as not being "properly" filed, which led Staff to initially include the reports as being not filed. Docket 26-0184
The ICC at its meeting today also voted on an order related to similar alleged non-filings by Aggressive Energy LLC, with ICC Staff and Aggressive Energy LLC proposing via a draft agreed order an agreed penalty of $16,250. The ICC addressed the Aggressive Energy order in an omnibus fashion without discussion. As of publication time, the ICC's docket site does not have the Aggressive Energy order posted (with an order concerning another docket with a similar docket number apparently erroneously posted in the Aggressive Energy docket). While no protest or other opposition had been filed concerning the Staff-Aggressive agreed penalty amount, absent posting of the ICC's written order, the ICC's disposition could not be immediately confirmed. Docket 26-0185
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July 16, 2026
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Reporting by Paul Ring • ring@energychoicematters.com
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