I am writing to express my…

ERO number

019-2927

Comment ID

81640

Commenting on behalf of

Individual

Comment status

Comment approved More about comment statuses

Comment

I am writing to express my concern regarding ERO 019-2927 of Bill 23 or the More Homes Built Faster
Act, 2022. I believe the proposed changes will harm native Ontario wildlife species and their habitats
and will undermine the province’s commitments and accomplishments for biodiversity conservation and climate change mitigation and adaptation. I urge the Government of Ontario to provide cities, towns, and rural communities with a mix of ownership and rental housing types that meet the needs of all Ontarians without implementing the changes in ERO 019-2927. I strongly oppose all of the changes
under ERO 019-2927 for the reasons summarized below.

Conservation Authority (CA) approval and input
ERO 019-2927 removes or reduces the power and involvement of CAs to approve or provide input on
development decisions. I think this is a mistake because CAs have unique regional knowledge of
watershed and natural heritage systems that is critical for effective conservation measures,
environmental protections, and public safety. I am concerned that biodiversity conservation
and the integrity of natural heritage systems (e.g., wetlands, watersheds) will suffer without the full
involvement of CAs in development decisions. I urge the Government of Ontario to maximize the power
and involvement of CAs to approve or provide input on development decisions, and I urge the
Government of Ontario provide financial support for them to do so. This will ensure the best decisions
are made for biodiversity conservation in the short and long-term. The identification and protection of
natural heritage systems and sensitive areas, e.g., floodplains, are cornerstones of sound land-use
planning and the role of CAs is essential for conservation and public safety, as well as identifying areas
best suited to development and housing. The Government of Ontario should not take CAs out of, or
reduce CA’s involvement in, the development decision process as is the case in ERO 019-2927.

Conclusion
I am concerned that ERO 019-2927 moves Ontario backwards and not forwards with respect to housing, biodiversity conservation, climate change mitigation and adaptation, and the land-use planning process in general. I urge the Ontario Government to repeal ERO 019-2927 to increase, not decrease, the role and involvement of CAs to approve or provide input to development decisions and provide increased funding for them to do so.