Comment
Why HCA is is Not Supporting the Proposed Merger - and neither do I!
The Province has not provided evidence showing why the merger is needed.
The plan notes that a regional approach is required to address inefficiency and streamline permit approvals, but doesn’t provide details on where existing CAs are falling short. We believe issues like inconsistent service or outdated systems can be addressed without restructuring the entire conservation system.
Local decision-making will be harder to maintain.
Currently, Hamilton and Puslinch fund approximately 35% of HCA’s work and have a direct say in watershed decisions. The Province contributes less than 1%. In a 28-municipality organization, our local voice will carry less weight, but municipalities will still be funding the work.
Mergers are expensive, and there’s no funding plan.
Bringing together conservation lands, visitor services, memberships, staff structures, and IT systems would be a major undertaking. The Province has not explained who will pay for these costs or how combining the systems will save money down the line.
HCA already provides efficient, reliable service.
In 2024, we processed 94% of major permits on time, meeting or exceeding provincial expectations. The focus should be on improving resources where needed, not reorganizing authorities that already perform well.
Strong conservation depends on local relationships.
For more than six decades, HCA’s conservation efforts have been supported by deep, local partnerships with municipalities, community groups, landowners, volunteers, foundations, and Indigenous partners. A larger, more removed agency could erode the local collaboration that makes conservation effective.
Key details remain unknown.
Governance, costs, timing, staffing, land management, branding, and community impact have not been explained, which leaves the potential effects of the merger uncertain.
Submitted December 22, 2025 8:18 PM
Comment on
Proposed boundaries for the regional consolidation of Ontario’s conservation authorities
ERO number
025-1257
Comment ID
178932
Commenting on behalf of
Comment status