Comment
Thank you for the opportunity to comment. Our specific interest is the section which speaks to MEM's current authority to direct on matters relating to electricity procurement, and the proposal for these new authorities to formalize the government’s ability to outline specific parameters pertaining to the country, region or territory of origin and their abilities to participate in Ontario’s electricity sector.
In particular we reference the Note: With respect to resource procurements, MEM’s proposal to limit foreign participation in the energy sector would focus on future resource procurement activities not processes already launched, awarded and being implemented.
Of direct relevance to Ontario's hydroelectric industry in this regard are the following procurements, which we recommend be viewed as already launched, as having been already the subject of Direction by the Minister and/or Cabinet:
Small Hydro Program (August 23, 2023)
Northern Hydro Program (May 8 2024)
Long Term RFP 2 - 1st stream (August 28, 2024)
Long Lead Time RFP (August 29, 2024)
While the implementing regulations have yet to be drafted, owners and proponents of facilities have already invested time and resources in these procurements that should be recognized as recommended.
Thank you for the consideration.
Paul Norris
President
Ontario Waterpower Association
Submitted May 15, 2025 11:06 AM
Comment on
Proposed amendments to the Mining Act 1990, Electricity Act 1998, and Ontario Energy Board Act 1998, to protect Ontario’s Economy and Build a More Prosperous Ontario.
ERO number
025-0409
Comment ID
143425
Commenting on behalf of
Comment status