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ICC Fines Eight More Suppliers For Reporting Requirement Noncompliance

On July 16, 2026, the Illinois Commerce Commission issued eight separate final order fining suppliers for failing to comply with various reporting requirements. See individual final orders issued against alternative retail electric suppliers below.

As previously reported, “On March 5, 2026, the Commission initiated this proceeding, as recommended by the Office of Retail Market Development in a February 4, 2026, Commission Staff (“Staff”) Report. The Initiating Order directed Aggressive Energy LLC (“Aggressive Energy” or the “Company”) to file a Notice of Appearance and provided the Company an opportunity to show cause why the Commission should not order that penalties be assessed in the amounts recommended by Staff for failure to file annual and quarterly reports (“Reports”) in compliance with the requirements of its Certificate of Service Authority (“Certificate”) to operate as an Alternative Retail Electric Supplier (“ARES”) in Illinois to provide electricity delivery service to Illinois customers.”

In a Final Order against 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. See:  2026-0175

In a Final Order against 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. See: 2026-0174.

In a Final Order issued against 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.  See: 2026-0178

In a Final Order against 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. See: 2026-0176

In a Final Order against 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. See: 2026-0180

In a Final Order 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. See:  2026-0182

In a final order issued against 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. See:  2026-0184

The ICC issued a final order for Aggressive Energy LLC for an agreed penalty of $16,250 for missed filing reports.  Staff Report, Staff recommended total penalties of $32,500 be imposed against the Company for failure to file the following reports: 1) Annual Compliance with Retail Charge Provisions of the Renewable Energy Portfolio Standard (“REPS Report”) in accordance with 83 Ill. Adm. Code 455.125 due by September 1, 2022, September 1, 2023, and September 1, 2024, $7,500 each; 2) Net Metering Reports required by 83 Ill. Adm. Code 465.40 due April 1, 2022, April 1, 2023, and April 1, 2024, $2,500 each; and 3) Designated Agent Form in accordance with 83 Ill. Adm. Code 215.10 due by January 31, 2024, $2,500. See:  2026-0185