Fuel switching to biomass is the lowest cost way for industry to reduce emissions. It also supports the Ontario forest industry by providing a much needed market for low grade wood- as identified in the forest biomass action plan.
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Our company is pleased to see the proposed addition of our business's NAICS code 3116, and we hope that the NAICS code will be added to the EPS Program.
We are in agreement with the proposed amendments to the Emissions Performance Standards (EPS) program. It takes into account the Trade Exposure (TE) concern which we already voiced previously.
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Shell Canada Limited (Shell) appreciates the opportunity to comment on the Ontario Ministry of the Environment, Conservation and Parks’ (the Ministry) proposed regulatory amendments to the Emissions Performance Standards (EPS) program for 2023 to 2030.
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On behalf of the Cement Association of Canada and our member companies in Ontario, I am pleased to submit comments on the proposed Emissions Performance Standards (EPS) program regulatory amendments for the 2023-2030 period.
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Dear Melissa,
The Atmospheric Fund (TAF) appreciates the opportunity to provide feedback on the proposed
regulatory amendments to the Emissions Performance Standards (EPS) program. TAF is a regional
climate agency based in the Greater Toronto Hamilton Area (GTHA) supporting a net zero future.
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Canadian Manufacturers & Exporters Submission
Proposed Regulatory Amendments for Emissions Performance Standards Program 2023-2030
Introduction – A Proposed Framework for EPS Proceeds:
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See attached IETA's submission to MECP on the Emissions Performance Standards (EPS) program regulatory amendments for the 2023-2030 period.
Thank you for allowing IETA to share insights and recommendations.
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Enbridge Gas (Enbridge) welcomes the opportunity to comment and provide feedback on the Emissions Performance Standards (EPS) program regulatory amendments for the 2023-2030 period. Climate change requires serious solutions, and Enbridge wants to be a part of those solutions.
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Thank you for this opportunity to comment on the Proposed Regulatory Amendments for Emissions Performance Standards (EPS) Program 2023-2030 (ERO 019-5769).
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October 10th, 2022 Melissa Ollevier
Financial Instruments Branch 40 St. Clair Avenue West Floor 8
Toronto, ON M4V 1M2
Email: Melissa.Ollevier@ontario.ca
Re ERO # 019-5769 Emission Performance Standards (EPS) Program Regulatory Amendments for the 2023-2030 Period
Dear Ms. Ollevier:
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Summary
• Ontario’s revised EPS falls short of meeting the federal benchmark criteria, and must be strengthened to set up the various economic sectors to achieve net-zero emissions by 2050 (2035 for electricity). A key step is to implement a stringency factor decline rate of at least 4%.
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I am writing on behalf of Carmeuse Lime (Canada) Limited (Carmeuse), a leading lime manufacturing and performance minerals and services company. Carmeuse operates lime manufacturing facilities in Ingersoll, Dundas and Blind River, directly employing 180 people.
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Capital Power is pleased to provide for consideration by the Ministry of Environment, Conservation and Parks (“MECP”) the following submission providing Capital Power’s perspectives regarding amendments to Ontario’s EPS.
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On behalf of the Ontario Forest Industries Association (OFIA) and the Pulp and Paper Coalition, thank you for the opportunity to comment on ERO posting 019- 5769, Emissions Performance Standards (EPS) program regulatory amendments for the 2023-2030 period.
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Our company is pleased to…
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We are in agreement with the…
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Please be advised of the…
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Shell Canada Limited (Shell)…
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Dear Melissa, The…
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Canadian Manufacturers &…
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See attached IETA's…
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Emissions Performance…
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Please see attached…
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Enbridge Gas (Enbridge)…
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Thank you for this…
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61691
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Please see the attached…
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61695
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October 10th, 2022 Melissa…
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Please see attached document…
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Summary • Ontario’s revised…
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