Comment
1. Can the regulation have a clear definition of who a "project leader" is in the definitions section so it is not up for interpretation?
2. If MECP intended for this definition to be the project owner (i.e., parties like MTO or regions owning the infrastructure to be constructed such as highways, bridges, etc.), are they precluded from trickling down the project leader responsibilities (outlined in Section 8-16 provisions) to the awarded prime contractor through their contractual provisions?
Submitted March 16, 2022 2:27 PM
Comment on
Implementation Pause of Excess Soil Requirements in Effect January 1, 2022
ERO number
019-5203
Comment ID
60230
Commenting on behalf of
Comment status