Comment
To whom it may concern,
We are a producer obligated under Ontario’s Hazardous and Special Products (HSP) regulation, and we support the proposed amendment to move the effective date of the Recycling Efficiency Rate (RER) requirement for oil containers and antifreeze from 2027 to 2028.
Achieving a 95% RER depends on the availability of appropriate and reliable processing infrastructure. As you may know, the system is currently undergoing a transition, including the development of new processing capacity, which requires time for site development, permitting, equipment installation and commissioning.
Advancing the RER requirement before the supporting infrastructure is fully operational creates a risk that regulatory timelines and system readiness will not align, resulting in compliance challenges for producers despite good-faith efforts.
We believe that delaying the RER effective date to 2028 is a practical adjustment that supports effective implementation and long-term system performance.
Sincerely,
Subaru Canada, Inc.
Alex Niro
Manager, Legal Counsel (Product)
Submitted April 7, 2026 1:33 PM
Comment on
Proposed Amendments to Tires and Other Producer Responsibility Regulations
ERO number
026-0218
Comment ID
184064
Commenting on behalf of
Comment status