Commentaire
I would like to add my input on O.Reg 406/19 and the new criteria implemented on January 1, 2022 . This new criterion is very hard to implement on existing projects that have been delayed that did not account for this regulation within their existing budgets. I also think there was very little communication on the workshops etc that were held. I for one was not circulated on a single workshop date and therefore was not in the loop on the training that was made available.
The additional sampling and testing requirements are significant. I also think that the criteria is a bit excessive for areas like stormwater management facility retrofits as these parklands are typically very very low risk for having contaminated material aside from the sediment. I think the testing requirements should not necessarily be related to the amount of fill entirely but also factor in prior land uses as well.
Ultimately I am in support of delaying this regulation implementation until January 2023.
Thank You,
Soumis le 16 mars 2022 9:58 AM
Commentaire sur
Interruption de la mise en œuvre des exigences relatives aux sols de déblai en vigueur le 1er janvier 2022
Numéro du REO
019-5203
Identifiant (ID) du commentaire
60220
Commentaire fait au nom
Statut du commentaire