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Comment ID

95385

Commenting on behalf of

Cardinal Power of Canada

Comment status

Comment approved More about comment statuses
We believe there is a gap in current legislation for Cogeneration facilities in which Methodology C cannot be applied unless the facility also qualifies for either Methods D or E. Read more

Comment ID

95643

Commenting on behalf of

Canadian Manufacturers and Exporters

Comment status

Comment approved More about comment statuses
- Expanding the scope of the program - Clarifying applicability rules under certain methods of calculating an annual emissions limit in the EPS methodology - Treatment of renewable natural gas CME welcomes this regulatory package. Read more

Comment ID

95710

Commenting on behalf of

Coalition for Renewable Natural Gas

Comment status

Comment approved More about comment statuses
RNG Coalition believes that MELCP should expand the scope of its proposed changes by allowing RNG injected into the North American gas system to be used by EPS facilities. Read more

Comment ID

95711

Commenting on behalf of

OMNI Conversion Technologies

Comment status

Comment approved More about comment statuses
OMNI applauds the MECP’s recent proposal on regulatory amendments to clarify program requirements and improve program efficiency for Emissions Performance Standards (EPS) and GHG Reporting programs. Read more

Comment ID

95719

Commenting on behalf of

Individual

Comment status

Comment approved More about comment statuses
My main comment here is this posting is extremely difficult to read and understand. If you want the people of Ontario to offer their feedback, they need to be able to understand it. This is shamefully hard to read, even for me as an experienced science editor.

Comment ID

95720

Commenting on behalf of

Industrial Gas Users Association

Comment status

Comment approved More about comment statuses
January 10, 2024 Submitted Electronically to: Melissa.Ollevier@ontario.ca IGUA Submission Posted by: Ontario Minister of the Environment, Conservation and Parks Read more

Comment ID

95725

Commenting on behalf of

Bruce Power

Comment status

Comment approved More about comment statuses
Please find attached our formal submission from Bruce Power. Please reach out to me to discuss or should you have any questions. Clint Thomas Director, Government and Stakeholder Relations Bruce Power clint.thomas@brucepower.com Read more

Comment ID

95731

Commenting on behalf of

Northland Power Inc.

Comment status

Comment approved More about comment statuses
Northland Power Inc. comments with a focus on expanding the eligibility of Renewable Natural Gas (RNG) in the context of electricity generation. Read more

Comment ID

95732

Commenting on behalf of

Domtar

Comment status

Comment approved More about comment statuses
Domtar appreciates the opportunity to provide the Ontario Ministry of the Environment, Conservation and Parks (MECP) input on the proposed amendments to its Emission Performance Standards (EPS) program to clarify program requirements and improve program efficiency for Emissions Performance Standards Read more

Comment ID

95733

Commenting on behalf of

Air Products Canada Ltd.

Comment status

Comment approved More about comment statuses
Air Products appreciates the opportunity to provide input to the Ministry of the Environment, Conservation and Parks (MECP) in response to the proposed EPS amendment bulletin (ERO number 019-7649). Read more

Comment ID

95737

Commenting on behalf of

Carmeuse Lime

Comment status

Comment approved More about comment statuses
Thank you for the opportunity to comment on the proposed changes to the Emissions Performance Standards (EPS) program in Ontario. Carmeuse appreciates the government's efforts to address climate change and reduce greenhouse gas emissions. Read more

Comment ID

95738

Commenting on behalf of

Canadian Steel Producers Association

Comment status

Comment approved More about comment statuses
The Canadian Steel Producers Association (CSPA) is the national voice of Canada’s $15 billion steel industry. Our members annually produce approximately 13 million tonnes of crude steel as well as over one million tonnes of steel pipe and tube products in facilities located across Canada. Read more

Comment ID

95740

Commenting on behalf of

Enbridge

Comment status

Comment approved More about comment statuses
See PDF attached and text copied below: Enbridge Feedback on Regulatory amendments to clarify program requirements and improve program efficiency for Emissions Performance Standards and GHG Reporting programs — ERO #019-7649 Submission date: January 15, 2024 Read more

Comment ID

95743

Commenting on behalf of

Ontario Environment Industry Association (ONEIA)

Comment status

Comment approved More about comment statuses
On behalf of Ontario’s more than 3,000 environment and cleantech firms, the Ontario Environment Industry Association (ONEIA) is writing to provide our response to the Ontario Ministry of the Environment, Conservation and Parks’ (MECP) consultation seeking input on Emissions Performance Standards and Read more