We Support Toronto Public…

Numéro du REO

013-0299

Identifiant (ID) du commentaire

307

Commentaire fait au nom

Individual

Statut du commentaire

Commentaire

We Support Toronto Public Health's call for a streamlined & affordable approach for urban agriculture & community growing initiatives.

The Importance of this Initiative

The Ministry’s site assessment processes currently present a barrier to initiating community food projects, particularly in low-income communities where the need for fresh produce is greatest. This initiative could not only help to reduce a significant, if not, insurmountable barrier to urban food growing projects, and could also help the Province meet two of its keystone policy directives: poverty reduction and climate change mitigation.

The Barrier

There is increasing interest in community-led urban food growing projects. These types of projects are often in priority neighbourhoods where access to food and green space are limited and incomes are typically low. For these projects a Record of Site Condition (RSC) would be required. This requirement is based on shift from a less to more sensitive land use (i.e., from commercial or parkland to agricultural land use) triggering an expensive and time consuming site assessment and regulatory approval processes. The resources required to meet this regulatory hurdle exhaust the resources available for getting these projects started and significantly impair the creation of critically needed community food initiatives.

Proposed Solution

Streamlined and Tailored Approach for Urban Community-Led Food Growing Projects As part of initiatives to innovate, the Ministry developed a Tier II site assessment approach to streamline RSC assessments for low risk, standardized sites. Unfortunately, this process does not include key risk assessment and risk management assumptions that are specific to urban food growing projects, for instance, non-permanent structures (i.e., no indoor air inhalation pathway), no groundwater consumption, no livestock production and above-grade container gardening as a risk management approach.

The Ministry could consider a streamlined and tailored approach to assessing sites for the purposes of small scale, community-based urban food growing projects, analogous to the Tier II streamlined site specific risk assessment approach. Assumptions that are tailored and standardized to urban food growing projects could be built into the approach, significantly simplifying the process to assess and manage potential risks while maintaining health objectives.

Expedited Review Process An expedited Environmental Approval Site Registry (EASR) process is already in place for other low risk sites. In these cases, site assessments are conducted and signed off by a QPRA and filed on a transparent environmental approval site registry for automatic approval.

The Ministry could create an analogous provision for urban food growing projects. This provision would allow for an expedited & affordable review process facilitated by the local district Ministry offices.

Finding a Solution in Time for the 2018 Growing Season

Given the urgency for improving access to good nutritious food, communities cannot wait another growing season for access to food grown in their own food growing projects.

The Ministry could initiate a working group to quickly identify how to leverage existing Ministry processes to develop an approach that could be ready by January of 2018. Under this timeline projects will be able to go through the site assessment and approvals process in time to break ground in the spring 2018.

[Original Comment ID: 209800]