Comment
Please consider adding NASM, under Section 3 (1) of O.Reg 347/90 as a material that is exempt from Part 5 of the Act and O.Reg 347/90. Qualifications would have to be made to ensure that only NASM that is properly qualified as a nutrient and field applied in accordance with a field nutrient plan and the revised OMAF regulation would meet the exemption. The proposed regulatory framework does an excellent job describing the changes to the processes where there is regulatory duplication. But, the materials field applied could still be construed as a waste. The land to which a NASM it is applied could still be termed a waste disposal site. This regulatory duplication should be adequately addressed by providing an exemption in the general waste management regulation for properly qualified and field applied NASM.
[Original Comment ID: 104636]
Submitted October 7, 2019 3:26 PM
Comment on
An improved regulatory framework for the management of non-agricultural source materials (NASM)
ERO number
019-0700
Comment ID
35114
Commenting on behalf of
Comment status