Comment
Dear Minister McCarthy,
I am writing as the CEO of a Producer Responsibility Organizations (PROs) operating under the Ontario Resource Recovery and Circular Economy Act (RRCEA). We are concerned that proposed amendments to the Tires Regulation (O. Reg. 225/18) under the Resource Recovery and Circular Economy Act, 2016 (RRCEA) may cause unintended operational inefficiencies, cost increases, and compliance uncertainties for our clients. Please see attached our detailed response in reference to the proposed changes.
We have submitted these concerns directly through the online portal, but would welcome the opportunity to discuss with you or your staff.
Kind regards,
Adrian Vannahme
CEO, Reclay PRO
Supporting documents
Supporting links
Submitted April 30, 2026 4:32 PM
Comment on
Proposed Amendments to Tires and Other Producer Responsibility Regulations
ERO number
026-0218
Comment ID
185117
Commenting on behalf of
Comment status