Comment
I support the recent letter and supporting documentation sent to you by the West Caledon Communities Aggregate Group (July 28th, 2021).
I respectfully request,
- that the MECP remove the unwarranted exemption from application of the Area of Influence (AOI) and Minimum Separation Distance (MSD) in the Guideline to land use decisions for new or expanding aggregate operations proposed near sensitive land uses.
- that MECP acknowledge “flyrock” (the ultimate adverse effect of blasting quarry operations) as a contaminant, pursuant to the 2013 Supreme Court of Canada ruling in Castonguay Blasting Ltd. v. Ontario (Environment);[1] and
- that MECP’s AOI (Area of Influence) and MSD (Minimum Separation Distance) apply to all major facilities, including new and expanding quarry operations, and sensitive land uses.
[1] Castonguay Blasting Ltd. v. Ontario (Environment), 2013 SCC 52 (CanLII), [2013] 3 SCR 323, <https://canlii.ca/t/g1038>, retrieved on 2021-07-12
Note: West Caledon Communities Aggregate Group which consists of:
• Belfountain Community Organization
• Caledon Village Association
• Alton Village Association
• Village of Inglewood Association
• Forks of the Credit/Brimstone Residents Association
• Terra Cotta Traffic Association
• Cheltenham Community Representatives
• Cataract Community Representatives
• Green Lake Property Owners Association
• Forks of the Credit Preservation Group (https://www.fcpreservation.ca/).
Submitted August 2, 2021 9:45 PM
Comment on
Land Use Compatibility Guideline
ERO number
019-2785
Comment ID
58322
Commenting on behalf of
Comment status