Comment
RNG Coalition believes that MELCP should expand the scope of its proposed changes by allowing RNG injected into the North American gas system to be used by EPS facilities. Requiring the use of an electronic tracking system like M-RETs, which is already being used by the IESO to track clean energy credits in the electricity market, would be the best approach to support the expansion of the role of renewable gas in decarbonizing Ontario’s high emitters while strengthening the integrity of the EPS. Adopting those changes will support a strong renewable gas industry in Ontario.
Supporting documents
Submitted January 5, 2024 12:06 PM
Comment on
Regulatory amendments to clarify program requirements and improve program efficiency for Emissions Performance Standards (EPS) and GHG Reporting programs
ERO number
019-7649
Comment ID
95710
Commenting on behalf of
Comment status