Please see attached document…

Numéro du REO

019-2219

Identifiant (ID) du commentaire

49483

Commentaire fait au nom

Lake Erie Source Protection Committee

Statut du commentaire

Commentaire approuvé More about comment statuses

Commentaire

Please see attached document for detailed comments. A summary of the comments is provided here:

- need for clarity on mandatory or voluntary nature of amendments, who will fund and undertake the work required
- need for updating CWA to be able to address activities that impact vulnerability
- need for clarification why vulnerability scores for SGRAs have been removed
- need for support/funding for SPA staff to support Climate Impact Assessments
- support for changes to rules around application of road salt, but concerned lack of provincial funding will lead to inconsistencies of calculations across the watershed
- support for changes around definition of ICA but concerned about level of evidence needed for "contributing to Issue"
- concern with proposed change to local threat rules, as it unnecessarily restricts activities from being able to be considered
- concern with proposed changes around condition sites, as it results in greater level of effort needed to provide evidence of migration towards well/intake
- concern with no lower limit for snow storage
- concern with limited additional support for identifying handling and storage of DNAPLs
- concern with waste oil sites not being able to be address under CWA
- need to address PFOA and PFOs under CWA framework
- need to remove area of application restriction for pesticide application