Comment
November 7 2019
SUBJECT: ERO 019-0732 Proposal for a new regulation under the Lakes and Rivers Improvement Act
I am writing to express my strong support for the proposed regulation under the Lakes and Rivers Improvement Act to implement a “one window” approach for waterpower facilities, concurrent with the proposal to exempt the sector from the duplicative requirement of a Permit to Take Water under the Ontario Water Resources Act.
The proposed movement to a “one window” approach, through the provisions of the Lakes and Rivers Improvement Act, will maintain regulatory effectiveness and increase efficiency. MNRF has shown leadership in the modernization of the regulation of dam construction and management, publishing a series of Technical Guidelines and Best Management Practices since 2011. The Ministry not only has the legislative authority but policy and procedural mechanisms in place to regulate the waterpower industry.
I note as well the regulatory provision that would enable the Minister to adopt by reference any document, including a code, formula, standard, protocol, procedure or guideline. In this regard, I would recommend that the Best Management Practices “Ontario Waterpower Development Surface Water Quality and Fish Sampling Programs” and “Small Hydro and Methyl Mercury”, commissioned by the Ontario Waterpower Association, be adopted through this provision.
Sincerely.
Paul Norris
President
Ontario Waterpower Association
Submitted November 7, 2019 1:21 PM
Comment on
Amendments to Three Statutes administered by the Ministry of Natural Resources and Forestry to support the proposed Better for People, Smarter for Business Act, 2019 and a proposal for a new regulation under the Lakes and Rivers Improvement Act
ERO number
019-0732
Comment ID
36029
Commenting on behalf of
Comment status