"Comment ID","Commenting on behalf of",Organization,Comment,"Supporting links","Supporting documents",created,"View comment" 82252,"in my professional capacity, on behalf of my organization",,"Veal Farmers of Ontario (VFO) is in support of increasing the weight of grain-fed veal cattle to 725 pounds, the respective increase in manure production calculations in Table 1 of the of the Nutrient Management Protocol, and the updated nutrient content values of grain-fed veal cattle manure in the reference Table 2-Manure Databank. However, VFO would like to express concern with the second proposed changes to Table 1 of the Nutrient Management Protocol. The proposed change to the housing capacity area allocated per animal for grain-fed veal states that; “The original value of 6.97 square meters per animal would change to 5.85 square meters per animal which would align with the current Canadian Code of Practice for the Care and Handling of Veal Cattle”. In actual fact, The Code of Practice for the Care and Handling of Veal Cattle (The Code) is outcome based and does not list a specific space requirement for housing. Section 3.3. of The Code states that the requirements for veal cattle housed in groups are “Cattle in groups must be able to easily stand up and lie down, turn around, groom, adopt sternal and lateral resting postures, and rest on the enclosure floor at the same time”. VFO staff have tried to relay this point to Ontario Ministry of Agriculture, Food and Rural Affairs previously to no avail. A copy of The Code of Practice for the Care and Handling of Veal Cattle can be found here. Therefore, VFO respectfully requests that the rational for the change in the housing capacity area allocated per animal for grain-fed veal be revised to remove the incorrect reference to The Code of Practice for the Care and Handling of Veal Cattle.","https://www.nfacc.ca/pdfs/codes/veal_cattle_code_of_practice.pdf Link to the Code of Practice for the Care and Handling of Veal Cattle",https://prod-environmental-registry.s3.amazonaws.com/public_uploads/2023-01/VFO%20NMA%20reference%20table%20comments%20FINAL.pdf,"January 9, 2023 11:53 AM",comment/82252 82359,"in my professional capacity, on behalf of my organization",,"On behalf of the Ontario Federation of Agriculture (OFA) please find attached our submission regarding the proposed changes to the values found in the Nutrient Management Tables 1 and 2 of the Nutrient Management Protocol. OFA is in favour of the periodic review and update of these values to reflect new scientific data and changes in industry practice. However, OFA remains disappointed that farmers are still required to endure the substantive compliance cost to engage a consultant to complete and submit a new NMP for review, on a farm that has not had any substantive changes. OFA has made repeated requests for the removal of the five-year Nutrient Management Plan (NMP) cessation when there have not been any substantial changes to the farm operation.",,"https://prod-environmental-registry.s3.amazonaws.com/public_uploads/2023-01/OFA%20Submission%20re%20ERO%20019-6404%20%28Nutrient%20Management%20Tables%29%20-%20January%2030%202023.pdf Ontario Federation of Agriculture's submission re ERO # 019-6404","January 30, 2023 3:44 PM",comment/82359