Comment
For consideration by the Ministry, although we are aware that it is not the Ministry's intention to require sampling on all projects, the Regulation as written (including the onus on reuse receivers to set and comply with ESQS), requires sampling for the majority of projects generating excess soils, and as such, we have a significant concern about QP capacity and availability within planned project schedules to support projects involving excess soils. To date, we have seen a large increase in projects requesting support for compliance with OReg 406/19, and expect many more project teams will reach out at the Registry comes into force, and as MECP begins education and enforcement.
Submitted December 3, 2022 10:45 PM
Comment on
Amendments to Certain Requirements under the Excess Soil Regulation
ERO number
019-6240
Comment ID
77504
Commenting on behalf of
Comment status