Comment
The Ontario Auditor General has pointed out that it is unclear if or how the ministries considered the purposes of the EBR Act when making those decisions, or how the ministries prioritized conflicting values, including environmental values, dur?ing their decision-making processes.
Since this issue has not been rectified and that expanding the existing registration in the EASR ( Environment Activity and Sector Registry) would mean that once registrants have received confirmation of their on line registration, they may undertake an activity at once and the ministry does not actively review such registration at first instance, this will make it more difficult to rectify the afore mention deficiency, therefore, the additions to the EASR should not be allowed.
Also, since the last webinar regarding these changes is not available until 4 days before the end of the comment period, the comment period needs to be expanded to 145 days commencing the day after the final webinar.
Submitted September 23, 2023 1:08 AM
Comment on
Streamlining environmental permissions for waste management systems under the Environmental Activity and Sector Registry
ERO number
019-6963
Comment ID
93294
Commenting on behalf of
Comment status