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Comment ID

99320

Commenting on behalf of

Ontario Barn Preservation

Comment status

Comment approved More about comment statuses
I am a member of the Ontario Barn Preservation (OBP) and am submitting OBP's response to the draft Provincial Policy Statements 2024. OBP submission comprises 19 pages of comment and 10 recommendations. OBP is available to provide further assistance, as required. Thank you. Read more

Comment ID

99322

Commenting on behalf of

Nieuport Aviation Infrastructure Partner, Owner and Operator of the terminal at Billy Bishop Airport

Comment status

Comment approved More about comment statuses
On behalf of Nieuport Aviation, we are writing to express our strong support for Section 3.4.2 of the Updated Propose Provincial Planning Statement 2024 released on April 10, 2024, which explicitly requires municipalities to protect airports by prohibiting land use and developments which could compr Read more

Comment ID

99323

Commenting on behalf of

Ontario Association of Cemetery and Funeral Professionals (OACFP)

Comment status

Comment approved More about comment statuses
The Ontario Association of Cemetery and Funeral Professionals (OACFP) is resubmitting our recommendations initially sent during the 2023 Provincial Planning Statement. Read more

Comment ID

99324

Commenting on behalf of

County of Lambton Planning and Development Department

Comment status

Comment approved More about comment statuses
Please see the attached comments from the County of Lambton Planning and Development Department. If you wish to connect with our team regarding the attached, please contact: Corrine Nauta. Dipl. M.A., Dipl. M.M., CBCO Chief Building Official Manager, Building Services Read more

Comment ID

99325

Commenting on behalf of

Individual

Comment status

Comment approved More about comment statuses
I'm concerned about the weakening of what was previously a requirement to establish targets for intensification and redevelopment in settlement areas, this is now weakened to simply "encouraging" municipalities to intensify and redevelop only "built up areas" instead of the all settlement areas. Read more

Comment ID

99327

Commenting on behalf of

Individual

Comment status

Comment approved More about comment statuses
I support the Provincial Planning Statement's strong language ( in Section 4.2 Water) that 1. Planning authorities shall protect, improve or restore the quality and quantity of water And I like 4.2.3 Municipalities are encouraged to undertake, and large and fast-growing municipalities shall Read more

Comment ID

99328

Commenting on behalf of

Individual

Comment status

Comment approved More about comment statuses
I like the stress on creating housing in the revised PPS, but I feel it's missing language to promote an obvious, cost-effective solution to the housing crisis, and one with fewer financial and environmental costs than most others: the adaptive reuse/ renovation of existing buildings, including heri Read more

Comment ID

99331

Commenting on behalf of

Greater Ottawa Home Builders' Association

Comment status

Comment approved More about comment statuses
Please accept the attached from the Greater Ottawa Home Builders’ Association (GOHBA) and its members as a submission to the government’s request for feedback on ‘Review of proposed policies for a new provincial planning policy instrument’ (ERO #019-8462). Read more

Comment ID

99335

Commenting on behalf of

Individual

Comment status

Comment approved More about comment statuses
Timberworx Custom Homes Inc. (“Timberworx) is a private residential construction company providing new and renovated homes throughout southern Ontario. Timberworx would like to thank you for the opportunity to comment on the proposed new Provincial Planning Statement via ERO No. Read more

Comment ID

99336

Commenting on behalf of

Individual

Comment status

Comment approved More about comment statuses
RSR Inc. (“RSR”) is a private residential development company focused on infill development in southern Ontario. We would like to thank you for the opportunity to comment on the proposed new Provincial Planning Statement via ERO No. 019-8462 (the "PPS, 2024"). Please see the attached letter. Read more

Comment ID

99337

Commenting on behalf of

Comment status

Comment approved More about comment statuses
Aura Group of Companies May 12, 2024 Ministry of Municipal Affairs and Housing 777 Bay Street, 17th floor Toronto, Ontario M7A 2J3 RE: ERO 019-8462 Review of Proposed Policies for a new Provincial Planning Policy Instrument Read more