Comment
We understand the concept behind the removal of market entry controls of the intercity bus industry and the advantages of healthy competition. However this exercise should not be used to eliminate or phase out Ontario Northland's bus/coach services in Northern Ontario.
The exercise should be utilized to modify existing regulations or introduce new ones for a minimum standard on quality and consistence of service including comfort of passengers. As we are all aware, Northern Ontario is a vast region with long distances to cover between communities and comfort and regularity in service is of the utmost importance to any and all passengers and potential new customers.
[Original Comment ID: 194522]
Submitted January 24, 2018 3:45 PM
Comment on
Intercity bus modernization proposal
ERO number
012-7896
Comment ID
159
Commenting on behalf of
Comment status