Comment
The draft regulations should include a transition clause. As many construction projects that generate excess soil are multi-year projects there should be a mechanism to avoid application of the requirements of this regulation for those projects that are already underway when it is filed.
I recognize there is a phased-in approach but this length of time will not be sufficient to address all projects that may currently be underway and may extend past 2021. A specific transition provision is needed.
Submitted June 14, 2019 11:13 AM
Comment on
Excess soil regulatory proposal and amendments to Record of Site Condition (Brownfields) Regulation
ERO number
013-5000
Comment ID
32188
Commenting on behalf of
Comment status