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Comment ID

100449

Commenting on behalf of

Wabun Tribal Council

Comment status

Comment approved More about comment statuses
Please make accessible to the Far North, tires, batteries and electronic programs . Kind regards, Belinda Beairsto Solid Waste Coordinator Wabun Tribal Council

Comment ID

100450

Commenting on behalf of

Ontario First Nations Technical Services Corporation

Comment status

Comment approved More about comment statuses
Communities that are north of the far north boundary are being left behind in regards to this regulation. The only regulation that applies to these communities is the HSP regulation. Read more

Comment ID

100452

Commenting on behalf of

Town of Renfrew

Comment status

Comment approved More about comment statuses
I manage a seasonal Municipal Household Hazardous Waste collection depot for residents of our municipality and surrounding municipalities, while also collecting tires and EEE year-round at our landfill site. Read more

Comment ID

100599

Commenting on behalf of

Individual

Comment status

Comment approved More about comment statuses
Current situation: • Ontario taxpayers pay an "eco" fee for the Producer to responsibly dispose of their tires • Culled and scrap tires are being exported out of the province for profit through unknown disposal methods that cannot be regulated or verified by Ontarians Read more

Comment ID

100725

Commenting on behalf of

Individual

Comment status

Comment approved More about comment statuses
Removing the provision that allows producers to reduce their obligated supply tonnage based on the amount of recycled content, extended warranties, and repair incentives offered does simplify reporting, but could discourage some producers from incorporating these things in their business in the long Read more

Comment ID

101030

Commenting on behalf of

Terrapure Environmental

Comment status

Comment approved More about comment statuses
Terrapure Comments re: Amendments to four producer responsibility regulations for tires, batteries, electrical and electronic equipment, and hazardous and special products Read more

Comment ID

101098

Commenting on behalf of

Individual

Comment status

Comment approved More about comment statuses
Section 30 (1) poses a challenge for the refillable pressurized containers. This section requires that no later than three months after the day that the type of HSP is collected by the producer, the HSP is processed by an HSP processor who is registered under section 42. Read more

Comment ID

101110

Commenting on behalf of

Reverse Logistics Systems Canada Inc.

Comment status

Comment approved More about comment statuses
RLG Systems Canada Inc. 175 Bloor Street East, 9th Floor, South Tower Toronto, ON M4W 3R8 Ministry of Environment, Conservation and Parks Resource Recovery Policy Branch 40 St. Clair Avenue West, 8th Floor Toronto, ON M4V 1M2 Canada Emailed to: sydney.pothakos@ontario.ca Read more

Comment ID

101111

Commenting on behalf of

H2 Compliance Canada, Inc.

Comment status

Comment approved More about comment statuses
Refurbishment activities are significantly less demanding compared to recycling. They require a lower amount of energy and effectively extend the lifetime of the original product. The Ellen McArthur foundation places Refurbishment activities above recycling and just below reusing a product. Read more

Comment ID

101120

Commenting on behalf of

City of Guelph

Comment status

Comment approved More about comment statuses
Thank you for the opportunity to provide feedback on the proposed amendments to producer responsibility regulations under the Resource Recovery and Circular Economy Act. Attached are the City of Guelph's comments and recommendations regarding the proposed amendments. Read more

Comment ID

101123

Commenting on behalf of

Niagara Region

Comment status

Comment approved More about comment statuses
To whom it may concern, The accompanying attachment outlines Niagara Region's comments on notice 019-8866. Thank you. Dave Yousif Read more

Comment ID

101130

Commenting on behalf of

SUBMITTED ON BEHALF OF MATT KELIHER, GENERAL MANGER - SOLID WASTE MANAGEMENT SERVICES, CITY OF TORONTO

Comment status

Comment approved More about comment statuses
The City continues to support the commitment made by the Province to increase the recovery of resources and reduce waste by holding those most responsible for the design of products and packaging accountable for management of their materials supplied into the Ontario marketplace. Read more

Comment ID

101137

Commenting on behalf of

The Association of Municipalities of Ontario (AMO), the Municipal Waste Association (MWA), the Regional Public Works Commissioners of Ontario (RPWCO), the City of Toronto and the Municipal Resource Recovery and Research Collaborative (M3RC)

Comment status

Comment approved More about comment statuses
Good Afternoon, Krista: Read more

Comment ID

101138

Commenting on behalf of

HRAI (Heating, Refrigeration and Air Conditioning Institute of Canada)

Comment status

Comment approved More about comment statuses
HRAI is requesting that the Ontario MECP remove the 90% RER requirement for mercury-containing thermostats from the HSP Regulation (O. Reg. Read more

Comment ID

101141

Commenting on behalf of

Call2Recycle Canada

Comment status

Comment approved More about comment statuses
October 18, 2024 Honorable Andrea Khanjin Ministry of Environment, Conservation and Parks 5th Floor, 777 Bay Street Toronto, Ontario M7A 2J3 Re: Call2Recycle’s Response to Proposed Amendments to the Batteries Regulation in Ontario Dear Minister Khanjin, Read more

Comment ID

101142

Commenting on behalf of

Individual

Comment status

Comment approved More about comment statuses
October 18, 2024 The Honourable Andrea Khanjin Ministry of Environment, Conservation and Parks 5th Floor, 777 Bay Street Toronto, Ontario M7A 2J3 Re: NEMA’s Response to Proposed Amendments to the Batteries Regulation in Ontario, Canada. Dear Minister Khanjin, Read more