Comment
The proposed amendments to O.Reg. 153/04 in general seem very positive, and the requirements for the management of excess soil provides a solid framework that ensures soil is handled and managed properly, which is excellent. A few comments on the Draft posting are provided below: 1. It is proposed to allow consultation with the MOECC on the delineation component of the Phase Two CSM, but this is to be done prior to the submission of the PSF. In this regard, is there any transition where this could apply to projects/properties that have already gone beyond the PSF stage? Or, is there any aspect where consultation could take place for non-risk assessment sites? 2. The extension of the salt exemption to non-roadways is an excellent change as it will simplify the process for all in the industry. Thank you for your consideration.
Rob
[Original Comment ID: 209816]
Submitted February 8, 2018 2:19 PM
Comment on
Excess soil management regulatory proposal
ERO number
013-0299
Comment ID
323
Commenting on behalf of
Comment status