As a basic, the province must have a comprehensive approach to watershed management through flood mapping, mitigation and hazard planning and protection, including services such as wetland protection, climate change adaptation and resilience, biodiversity health and land use planning. In other words, we must be beefing up our public safety and environmental protection efforts, rather than gutting and streamlining key policy and legislation, as well as funding for our regulators.
Jeff Graham, P.Eng., President, GSS Engineering Consultants Ltd., prepared this comprehensive table reporting on the cost comparisons between dam repair/rebuild vs. decommissioning. These are actual completed projects, showing the before and after. Check out the table: Continue reading
On September 28, 2018, you requested, on behalf of the Ontario Rivers Alliance and other partners, that the City be required to prepare an individual environmental assessment for the replacement of Riverside Dam. I am taking this opportunity to inform you that I have decided that elevating the project to an individual environmental assessment is not required.
The ORA is opposed to this proposal that would gut the Environmental Assessment Act (EAA) and the Environmental Assessment (EA) program. Since the EAA was amended in 1996 there have been many official calls for an improved EAA and EA program, amongst those calls were the Environmental Commissioner for Ontario and the Auditor General of Ontario. Over this time, the EA program and EAA have become more and more streamlined, and this has led to increasing uncertainty for stakeholders and proponents.
We strongly encourage the Ministries to hold fulsome and meaningful public consultations, aimed at ensuring that the proposed budgetary, legislative, and any future regulatory changes meet the desired vision of improving Ontario’s resilience to climate change. Until such time as a full assessment of the proposed changes is complete, we call on the government to delay enacting Bill 108, Schedule 2.
We, the undersigned organizations, strongly oppose proposed changes to the Endangered Species Act, 2007 (ESA) put forward in Schedule 5 of Bill 108. The changes contained in Schedule 5 will strip Ontario’s most vulnerable plants and animals of crucial legal protection.
If enacted, the proposed changes will effectively gut the Act, result in the loss of biodiversity in the Province, eliminate most of the current protections for species at risk, and reduce the likelihood of their recovery. These draconian changes are clearly designed to restrict the number of species that are listed as at risk, to permit large-scale developers to harm species at risk and destroy their habitat, and to delay the implementation of any protection measures that remain under the Act.
The government’s claim that the proposed changes will improve outcomes for species at risk is grossly misleading.
The ORA wishes to express our full support for the proposed changes to the Application for Authorization Under Paragraph 35(2)(b) of the Fisheries Act Regulations. We also support the proposed schedule of the new proposed Regulations to come into force at the same time as the new fish and fish habitat protection provisions proposed in Bill C-68.
In 1982, the Bill Davis government implemented the Community Fisheries Involvement Program (CFIP) and Community Wildlife Involvement Program (CWIP) to support community members and volunteers in efforts to initiate environmental projects that benefitted fisheries and wildlife in Ontario. In the first year alone, 3000 volunteer work days were donated to 22 projects across the province. Due to the success of the program, the Mike Harris government increased the funding to these programs to $1,000,000.00, which according to the Ontario Federation of Anglers and Hunters (OFAH) lead to 35,000 anglers, hunters, conservationists and outdoor enthusiasts donating 200,000 hours to 600 on the ground projects in the program’s final year.
We, the undersigned, are reaching out to all MPPs to urge you to uphold the spirit and intent of the ESA as well as its focus on demonstrable benefit to species, and to ensure that it is not weakened during the ongoing review.