District of Sault Ste. Marie Administration Board
548 Albert St. E
P6A 7A7
Canada
Hours: Mon-Fri
8:30 AM to 4:30 PM
548 Albert St. E
P6A 7A7
Canada
42 George Street, PO Box 576
K6V 5V7
Canada
55 Water St. W, # 240
Cornwall K6J 1A1
Canada
120 Matheson Street
Kenora P9N 1T8
Canada
125 Syndicate Ave S
Thunder Bay P7E 6H8
Canada
3 PO Box 74
Tillsonburg N4G 4H3
Canada
269 Gerrard Street East
M5A 2G3
Canada
234 Bunting Road
L2R 6Z4
Canada
380 9th Street East
Owen Sound N4K 1P1
Canada
PO Box 442
Fergus N1M 3E2
Canada
This section provides regular updates on the travel, meal and hospitality expense claims of employees and appointees.
This section will show the person’s name and title, purpose of the trip(s), date and destination of the trip(s), names of government/agency attendees if applicable, plus a summary of expenses for relevant air fare, other transportation, accommodation, meals, hospitality and incidentals.
The OEB has been posting expense information since April 2010. Expense claims are reviewed prior to posting, by the Integrity Commissioner of Ontario.
Expense claim information for cabinet ministers and political staff as well as agency senior executives, appointees and the top five claimants of the designated agencies can be accessed through the Government of Ontario website as soon as possible after the claims are reviewed by the Integrity Commissioner.
All claims for reimbursement for travel and other expenses must comply with the principles and rules of the Travel, Meal and Hospitality Expenses Directive.
The principles for reimbursement of expenses in the Directive include:
All expense claims are subject to oversight and approval and are reimbursed only if the expense is appropriate and reasonable.
Information on this website was accurate at the time of posting.
The MOU sets out the accountability relationship between the Minister of Energy and Mines and the Chair and Board of Directors of the OEB. It clarifies operational roles and responsibilities, and provides expectations for the operational, administrative, communications, financial, auditing and reporting arrangements between the OEB and the Ministry.
The Ontario Energy Board (OEB) is pleased to present our 2025/26 to 2027/28 Business Plan (the Plan), which focuses on fiscal year 2025/26 and includes forward-looking preliminary budgets for 2026/27 and 2027/28.
The demand for clean, affordable and reliable energy is increasing rapidly. Ontario is advancing a competitive all-of-the-above approach to meet this challenge, including using nuclear, hydroelectricity, natural gas, wind, solar and other sources to meet growing energy demands while emphasizing the province’s energy transformation and electrification goals.
The OEB’s role in the energy sector has never been more important. Although change is happening, in the sector and within the OEB, we are focused and ready to deliver on our mandate.
This Plan lays out our near-term response: to provide strategic and prudent oversight of Ontario’s energy sector through initiatives that support broader government priorities such as planning for growth, keeping costs down, enabling energy system modernization and streamlining solutions that will make Ontario an energy superpower.
Our work plan is informed by the Ministry of Energy and Mines’ (the Ministry) 2024 vision statement, Ontario’s Affordable Energy Future: The Pressing Case for More Power (the Government’s vision), which identifies energy priorities and provides policy guidance to the OEB on how to act within its legislated authorities. The OEB will support delivery of this vision by performing its adjudicative and other regulatory functions impartially, efficiently and transparently.
The OEB recovers its operating and capital costs through assessments to the natural gas and electricity market participants that it regulates. The cost assessment model is the approach used by the OEB to allocate costs.
The OEB is required to publish an annual report with information about our performance and audited financial statements during the fiscal year.
The OEB has accepted an Assurance of Voluntary Compliance from Greater Sudbury Hydro Inc., an electricity distributor. The Assurance responds to self-reported non-compliance related to overcharging customers as a result of a billing system error.
Use it to find case-related documents: Regulatory Document Search (RDS)
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