Commentaire
This appears to be an issue brought about as a result of concerns in the Georgian Bay region, a part of the province with considerable water recreational activity compared to what occurs in the vast majority of regions in NORTHERN Ontario. As such I would hope that any restrictions that seem more necessary in the more populated regions of southern Ontario will not be pointlessly IMPOSED on the far less populated regions of NORTHERN Ontario and its much greater number of lakes and rivers. To IMPOSE it on the northern part of the province would be unnecessarily onerous on the population at large and enforcement authorities. As is so often the case, a one size fits all does not always apply in the Province of Ontario. Northern Ontario is a much vaster region with a much smaller population and the instances and repercussions of what is being addressed here would be minimal. Please consider this when IMPOSING more restrictions and laws on us. I suspect that this has not come up as a major issue for the regions of northern Ontario, so please do not IMPOSE whatever regulations you have in mind regarding this issue on the NORTH. Thank you.
Soumis le 7 mars 2023 6:16 PM
Commentaire sur
Proposition de modification au Règlement de l’Ontario 161/17 pris en application de la Loi sur les terres publiques pour modifier les exigences relatives aux unités d’hébergements flottantes
Numéro du REO
019-6590
Identifiant (ID) du commentaire
82907
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