Comment
Blackstone Energy Services is an energy management company that serves to deliver purposeful change for its clients by guiding large businesses, municipalities and hospitals on their journey to net-zero consumption. Many of our clients reside in Ontario and several are subject to the EPS regulations. With Ontario proposing the amendments under ERO 019-2813, our clients would like clarification and further details on the following items:
Q1: Would facilities in Ontario have the option to participate in either the Federal OBPS or Ontario EPS system?
Q2: Is the EPS considering the use of carbon offsets as a compliance instrument?
Q3: In the case of carbon offsets, is the EPS considering the use of international carbon offsets?
Submitted January 7, 2021 9:26 AM
Comment on
Amendments to transition Ontario industrial facilities from the federal Output-Based Pricing System to Ontario’s Emissions Performance Standards program
ERO number
019-2813
Comment ID
50588
Commenting on behalf of
Comment status