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Comment ID

150674

Commenting on behalf of

Individual

Comment status

Comment approved More about comment statuses
The proposed change as written states all 2025 cancelations take effect on March 31st / April 1st 2025 taking into consideration only 3months of production data. The next opportunity to withdraw from the EPS program using a full year of data would be December 31st 2026. Read more

Comment ID

150947

Commenting on behalf of

Welded Tube of Canada Corp, GHG ID#1266

Comment status

Comment approved More about comment statuses
After exiting the EPS program, are we still entitled to apply to access any notional allocations we have remitted (EEUs) in the Emission Performance Program in the future should an emission reduction project or study become feasible? Read more

Comment ID

151661

Commenting on behalf of

Sundara Energy

Comment status

Comment approved More about comment statuses
Upon review of the Proposed Amendments, I find that all points appear reasonable and well-considered. However, I would like to respectfully raise a concern regarding the five-year re-registry period. Read more

Comment ID

151779

Commenting on behalf of

Individual

Comment status

Comment approved More about comment statuses
Stakeholder comments on proposed EPS amendments - ERO 025-0394 Three comments on MECP EPS program proposed changes for voluntary participants exit path: 1. Facilities with paid in allocation amounts should continue to have access to those paid in funds after exit from the EPS program. Read more

Comment ID

151796

Commenting on behalf of

Individual

Comment status

Comment approved More about comment statuses
I recommend that the program revisit its current guidelines and estimation factors. Specifically, it would be beneficial to differentiate between high-emitting and lower-emitting facilities, and to adjust emission factors to better reflect the efforts of voluntary low emitters. Read more

Comment ID

151798

Commenting on behalf of

Individual

Comment status

Comment approved More about comment statuses
July 18, 2025 Ryan Balmer Financial Instruments Branch 40 St. Clair Avenue West, Floor 8 Toronto, ON, M4V 1M2 Canada Re: Feedback on Proposed Amendment (ERO 025-0394) to Ontario’s Emissions Performance Standards (EPS) Program Ontario Association of Physical Plant Administrators Read more

Comment ID

151825

Commenting on behalf of

Enbridge Gas Inc.

Comment status

Comment approved More about comment statuses
Enbridge Gas Inc. (Enbridge) appreciates the opportunity to comment on Ontario’s proposed updates to the Greenhouse Gas Emissions Performance Standards (EPS) regulation. Enbridge supports regulatory frameworks that are adaptive, risk-based, and responsive to the realities of industrial operations. Read more