Dear Ms. Ollevier, The…

ERO number

019-7649

Comment ID

95742

Commenting on behalf of

Ontario Association of Physical Plant Administrators (OAPPA)

Comment status

Comment approved More about comment statuses

Comment

Dear Ms. Ollevier,

The Ontario Association of Physical Plant Administrators (OAPPA) and the Ontario Colleges Facilities Managers Association (OFCMA) appreciate the opportunity to provide feedback on the proposed developments in the Emissions Performance Standards (EPS) program in Ontario. We are particularly interested in advocating for the inclusion of smaller universities and colleges within the regulated sector to actively participate in the EPS program, and the development of sector-based standards under NAICS codes 6113 (Universities) and 6112 (Colleges).

The EPS program plays a vital role in regulating carbon emissions, and we are keen on ensuring that educational institutions have an equitable opportunity to participate and contribute to its objectives. We believe that by opting in for all institutions within the higher education sector, we can ensure equal treatment as well as investment opportunities for all sectoral members, fostering a fair and inclusive approach.

Please find our formal letter with more detail attached.

Supporting documents