To ensure clarity around the definition of green infrastructure and alignment to policy statements under Section 3(1) of the Planning Act, a direct reference to or inclusion of the Provincial Policy Statement (2014) definition of green infrastructure should be included: “Green infrastructure: mea
Green infrastructure should be included in the regulation as a core infrastructure asset. Green infrastructure can be a cost-effective complement (or alternative) to grey infrastructure, a relationship that is specifically cited in Ontario’s PPS 2014.
We need trees to be included as Municipal Green Infrastructure. Trees provide a wide range of healthy and cost saving opportunities for all communities.
1.All municipalities would be required to develop and adopt a strategic asset management policy by January 1, 2019. At least every five years from that date the municipality would be required to review the policy and if necessary update it.
1)The Township has concerns of funding availability in order to meet these new guidelines and regulations as monies taken from the Township are potential monies not available to improve and/or replace infrastructure and assets.
I, Councillor Sarah Doucette strongly support the province’s leadership in integrating green infrastructure into its new regulation for municipal asset management planning.
The Municipality of Red Lake believes that good planning is a vital component to meeting the guidelines/requirements of the Municipal Act; Planning Act etc. Planning is a vital tool in many facets of our organization.
• Strategic Asset Management Policy: More clarity is required on the Strategic AM policy. A template would be beneficial to guide the drafting of the policy and to accommodate the long list of requirements.
Perry Township is a small northern rural municipality with a population of >2500. Capacity Challenges As a small northern rural municipality, the Township of Perry faces capacity challenges in regard to this regulation.
Approvals The requirement for a licensed engineering practitioner to approve the AMP in writing will result in external costs for many small municipalities.
The proposed municipal asset management planning regulation will require a significant amount of staff time over the next four years to implement, as well as on an ongoing basis to review, update and maintain.
EXECUTIVE SUMMARY: As a result of our review of the regulation, we recommend that you consider extending the timelines for phases II and III of the development of comprehensive asset management plans by at least two years, for reasons detailed below.
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To ensure clarity around the…
Comment on
Proposed municipal asset management planning regulation
Comment ID
2179
Commenting on behalf of
Comment status
To ensure clarity around the definition of green infrastructure and alignment to policy statements under Section 3(1) of the Planning Act, a direct reference to or inclusion of the Provincial Policy Statement (2014) definition of green infrastructure should be included: “Green infrastructure: mea
Read moreRelated actions
Green infrastructure should…
Comment on
Proposed municipal asset management planning regulation
Comment ID
2180
Commenting on behalf of
Comment status
Green infrastructure should be included in the regulation as a core infrastructure asset. Green infrastructure can be a cost-effective complement (or alternative) to grey infrastructure, a relationship that is specifically cited in Ontario’s PPS 2014.
Read moreRelated actions
We need trees to be included…
Comment on
Proposed municipal asset management planning regulation
Comment ID
2181
Commenting on behalf of
Comment status
We need trees to be included as Municipal Green Infrastructure. Trees provide a wide range of healthy and cost saving opportunities for all communities.
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1.All municipalities would…
Comment on
Proposed municipal asset management planning regulation
Comment ID
2182
Commenting on behalf of
Comment status
1.All municipalities would be required to develop and adopt a strategic asset management policy by January 1, 2019. At least every five years from that date the municipality would be required to review the policy and if necessary update it.
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Green infrastructure? Does…
Comment on
Proposed municipal asset management planning regulation
Comment ID
2183
Commenting on behalf of
Comment status
Green infrastructure? Does this include trees? Will the provincial government include trees as infrastructure.
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Hello Mr. McCann,…
Comment on
Proposed municipal asset management planning regulation
Comment ID
2184
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Comment status
Hello Mr. McCann,
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1)The Township has concerns…
Comment on
Proposed municipal asset management planning regulation
Comment ID
2185
Commenting on behalf of
Comment status
1)The Township has concerns of funding availability in order to meet these new guidelines and regulations as monies taken from the Township are potential monies not available to improve and/or replace infrastructure and assets.
Read moreRelated actions
I, Councillor Sarah Doucette…
Comment on
Proposed municipal asset management planning regulation
Comment ID
2186
Commenting on behalf of
Comment status
I, Councillor Sarah Doucette strongly support the province’s leadership in integrating green infrastructure into its new regulation for municipal asset management planning.
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Section 1…
Comment on
Proposed municipal asset management planning regulation
Comment ID
2187
Commenting on behalf of
Comment status
Section 1
- Strategic Asset Management Policy
- Requirements beyond the scope of a high level policy document
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My comments re: the proposed…
Comment on
Proposed municipal asset management planning regulation
Comment ID
2188
Commenting on behalf of
Comment status
My comments re: the proposed regulation are as follows:
- timelines too demanding
- is capacity in the AMP consulting industry adequate?
- Difficult to find software that will satisfy regulation and be user-friendly & affordable
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We are submitting 26…
Comment on
Proposed municipal asset management planning regulation
Comment ID
2189
Commenting on behalf of
Comment status
We are submitting 26 comments for consideration:
1
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The Municipality of Red Lake…
Comment on
Proposed municipal asset management planning regulation
Comment ID
2190
Commenting on behalf of
Comment status
The Municipality of Red Lake believes that good planning is a vital component to meeting the guidelines/requirements of the Municipal Act; Planning Act etc. Planning is a vital tool in many facets of our organization.
Read moreRelated actions
July 21, 2017…
Comment on
Proposed municipal asset management planning regulation
Comment ID
2191
Commenting on behalf of
Comment status
July 21, 2017
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• Strategic Asset Management…
Comment on
Proposed municipal asset management planning regulation
Comment ID
2192
Commenting on behalf of
Comment status
• Strategic Asset Management Policy: More clarity is required on the Strategic AM policy. A template would be beneficial to guide the drafting of the policy and to accommodate the long list of requirements.
Read moreRelated actions
July 21, 2017…
Comment on
Proposed municipal asset management planning regulation
Comment ID
2193
Commenting on behalf of
Comment status
July 21, 2017
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Perry Township is a small…
Comment on
Proposed municipal asset management planning regulation
Comment ID
2194
Commenting on behalf of
Comment status
Perry Township is a small northern rural municipality with a population of >2500. Capacity Challenges As a small northern rural municipality, the Township of Perry faces capacity challenges in regard to this regulation.
Read moreRelated actions
Approvals The requirement…
Comment on
Proposed municipal asset management planning regulation
Comment ID
2195
Commenting on behalf of
Comment status
Approvals The requirement for a licensed engineering practitioner to approve the AMP in writing will result in external costs for many small municipalities.
Read moreRelated actions
The proposed municipal asset…
Comment on
Proposed municipal asset management planning regulation
Comment ID
2196
Commenting on behalf of
Comment status
The proposed municipal asset management planning regulation will require a significant amount of staff time over the next four years to implement, as well as on an ongoing basis to review, update and maintain.
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Timeline…
Comment on
Proposed municipal asset management planning regulation
Comment ID
2197
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Comment status
Timeline
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EXECUTIVE SUMMARY: As a…
Comment on
Proposed municipal asset management planning regulation
Comment ID
2198
Commenting on behalf of
Comment status
EXECUTIVE SUMMARY: As a result of our review of the regulation, we recommend that you consider extending the timelines for phases II and III of the development of comprehensive asset management plans by at least two years, for reasons detailed below.
Read moreRelated actions