Comments

View the comments this notice received through the registry. You can either download them all or search and sort below.

Some comments will not be posted online. Learn more about the comment status and our comment and privacy policies.

Download comments

Search comments

Comment ID

58143

Commenting on behalf of

Blue Source Canada ULC

Comment status

Comment approved More about comment statuses
The Government is proposing Excess Emissions Units and Emissions Performance Units as the only available compliance units. We fully support the use of Emissions Performance Units as this has been proven in other systems such as Alberta’s TIER program to be a successful incentive for GHG reduction. Read more

Comment ID

58159

Commenting on behalf of

Enbridge Gas

Comment status

Comment approved More about comment statuses
Enbridge Gas Feedback on Amendments to support transition and implementation of Ontario’s Emissions Performance Standards program — ERO Number: 019-3719 July 9, 2021 Executive summary Read more

Comment ID

58163

Commenting on behalf of

Aurora Power Corp.

Comment status

Comment approved More about comment statuses
One barrier to Aurora Power Corp.’s business is the federal fuel charge. Natural-gas-powered CHP systems are high-efficiency technology that produce both heat and electricity from one fuel source, yet operators of CHPs are still required to pay the federal fuel charge. Read more

Comment ID

58174

Commenting on behalf of

IETA

Comment status

Comment approved More about comment statuses
The International Emissions Trading Association (IETA) appreciates this opportunity to share input on the proposed amendments to Ontario's GHG Emissions Performance Standards (EPS) Regulation. Find IETA's detailed input on the proposed amendments, attached. Read more

Comment ID

58176

Commenting on behalf of

Capital Power Corporation

Comment status

Comment approved More about comment statuses
Capital Power Corporation is pleased to provide for consideration by the Ministry of Environment, Conservation and Parks the following submission providing Capital Power’s perspectives regarding amendments to Ontario’s Emissions Performance Standards program. Read more

Comment ID

58179

Commenting on behalf of

Ontario Forest Industries Association

Comment status

Comment approved More about comment statuses
As we compete internationally for markets and capital investments, Ontario must ensure its regulatory framework is cost-competitive with other jurisdictions. We appreciate your government’s focus on adding flexibility, streamlining and reducing administrative burden for facilities. Read more