Internationally, the U.K. commissioner can go to a tribunal. In France the system is so different that I think it's hard to draw parallels. In Spain the commissioner has extensive order-making power. I could perhaps go on; if you were really interested, we could look up the order-making power.
I would add, though, that I think it's important to distinguish order-making power from damage assessment power. None of the Canadian provinces can award damages. They can make orders but not award damages.