Comment
This plan should continue with existing circumstantial requirements as previously approved. Making the plan redundant at the current stage could jeopardize other factors to the density level being created here with regard to the National climate change initiatives.
It simply does not afford sensible redaction to eliminate requirements already evaluated and amended to be met, by developers and builders as well as municipal planning departments.
Submitted November 14, 2022 3:38 PM
Comment on
Proposed Revocation of the Central Pickering Development Plan
ERO number
019-6174
Comment ID
68618
Commenting on behalf of
Comment status