Comment
We are in support of the MECP's proposal to permit the establishment of aggregate depots that will not require an ECA as this is anticipated to bring the regulation into better alignment with current industry practice to treat engineered aggregate material as a resource while understanding that this material cannot be managed or sampled in the same way as other excess soils due to its composition and content.
Submitted November 21, 2024 3:50 PM
Comment on
Enabling greater beneficial reuse of excess soil
ERO number
019-9196
Comment ID
122056
Commenting on behalf of
Comment status