Comment
The Ontario Fruit and Vegetable Growers' Association (OFVGA) would like to extend its support to the submission made by the Ontario Greenhouse Vegetable Growers regarding ERO 019-1134.
Of OFVGA's membership, greenhouse vegetable growers are the main users of combined heat and power projects and will benefit from the use of a risk-based approach to inform a regulatory approach for the approval of combined heat and power projects.
The OFVGA encourages the use of risk based approaches with respect to government policy to minimize regulatory burden on fruit and vegetable production in Ontario.
Thank you for the opportunity to comment on this proposal.
Submitted November 27, 2020 3:15 PM
Comment on
Proposed amendments to regulations under the Environmental Protection Act and the Environmental Assessment Act for combined heat and power systems that use natural gas or wood biomass as fuel
ERO number
019-1134
Comment ID
49893
Commenting on behalf of
Comment status