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Conservation Ontario commends the Province on their draft vision, goals and objectives for an Agricultural Soil Health and Conservation Strategy for Ontario but recommends that sufficient funding and education are needed for more research on best management practices to improve soil health and conservation, and to support staff to provide education and engagement activities to farmers and landowners.
Overall CO supports the aim of the Province to make Ontario fully accessible but some concern was expressed in relation to the potential costs associated with the barrier-free design requirements. The draft Guidelines were developed by the Ontario Ministry of Agriculture, Food and Rural Affairs to assist municipalities, decision-makers, farmers and others with interpreting the policies in the Provincial Policy Statement PPS on the range of uses permitted in prime agricultural areas.
On November 4,MNRF made a decision to proceed with the regulation proposal as described, subject to some changes as a result of public consultation.
Conservation Ontario is participating in the provincial consultation on the review of the Federal Fisheries Act by submitting a letter raising concerns about letters of credit for offsetting projects where the purpose of the project is focused on habitat restoration and the work moecc cap and trade design options trees being undertaken by a public agency.
Comments focused on drain classification, timing windows, Drainage Act, and reclassification of Sensitive Species. As stated on the Environmental Registry, the Section 16 Technical Bulletin applies to alterations, improvements and repairs to existing dams and is part of MNRF's continued commitment to modernize and improve provincial requirements for the design, construction and management of dams.
Angler Use and Movement of Baitfish in Ontario is the first area to be moecc cap and trade design options trees through policy review by the Ministry of Natural Resources and Forestry as part of a comprehensive review of provincial bait policies to help improve the management of bait.
The CO-DFO MOU acknowledges that DFO and CAs have respective responsibilities for regulatory reviews and moecc cap and trade design options trees and aquatic resource protection, and will work together to develop a collaborative approach to fisheries and aquatic resource protection that is consistent in Ontario. The proposed MOU will help to ensure clear communication to the development and conservation communities, resulting in improved public service.
Overall CO was supportive of the main goals, objectives and tactics that were identified within the strategy although it was recommended that the province place greater emphasis on integrating watershed based management of fish into the strategy. As part of the Economic Action Plan, moecc cap and trade design options trees federal government moecc cap and trade design options trees proposed to provide 10 million dollars over two years to support partnerships with local groups to implement a variety of projects that would improve the conservation of fisheries habitat.
Conservation Ontario is strongly in favour of preventing Asian Carp access to the Great Lakes and their watersheds and supports increased efforts to achieve this objective. Overall, Conservation Authorities are highly supportive of the federal regulatory proposal to manage aquatic invasive species AIS.
These comments provide additional feedback on the key elements of the proposed regulation. While CO, was in principle, supportive of the proposed regulations, several key elements were identified that lack clarity. It responds to issues and concerns that have been raised by partners, including municipalities and Ministries, non-government organizations NGOsthe development industry, landowners, and CAs themselves.
This response promotes the use of an an Integrated Watershed Management IWM approach as a logical means to organize and coordinate the work of the various Ministries and agencies that involved in adapting to our changing climate. The position was endorsed by Conservation Ontario Council by majority electronic vote on July 28, The purpose of this Discussion Paper was to identify opportunities to improve the existing legislative, regulatory and policy framework that currently governs Conservation Authorities and the programs and services they deliver on behalf of the province, municipalities and others.
The Discussion Paper was seeking feedback on the following three areas: CO comments refer Section 2. The comments in this Trails Strategy. It sets out procedures and environmental planning principles to be followed to plan, design, evaluate, implement, and monitor remedial flood and erosion control projects.
A Policy Framework for Environmental Education. Overall, the coordinated comments submitted by Conservation Ontario are supportive of the nearshore framework recognizing that it will be modified based on lessons learned from the pilot testing proposed for Lawrence River Water Level Regulation.
The presentation outlines, 4 key areas priority locations in the Great Lakes Basin where progress can be made to improve Great Lakes water quality; efforts that are currently underway or planned for remediation, and, best practices that will facilitate further remediation of areas of environmental concern within the Great Lakes Basin.
LID techniques offer an effective and affordable option to mitigate the environmental impacts of urbanization, while offering beneficial outcomes to developers, municipalities and the public. Lawrence River water levels and flows. CO is supportive of a balanced plan for regulating outflows from Lake Ontario though the St. Lawrence that allows more natural water levels to support coastal wetlands while continuing to provide protection from extreme high and low water levels.
Healthy Great Lakes, Strong Ontario. CO sent a letter to the International Joint Commission IJC offering its support for the development of a water quantity advisory board that would advise the IJC and its Boards of Control regarding adaptively managing for extremes in levels and flow fluctuations and applauding the IJC for its leadership in advancing the state of knowledge of adaptive management. Lawrence River system " Lake Ontario and St.
A Moecc cap and trade design options trees Path Forward. CO supports the purpose of the Act which is to protect and restore the ecological health of the Great Lakes St. Lawrence River Basin, and to create opportunities for individuals and communities to become involved in its protection and restoration.
CO provided general comments on the Adaptive Management Plan and detailed how CAs could contribute to its implementation. CO commends the International Joint Commission IJC on the completion of a useful report summarizing the key issues facing Lake Erie with respect to phosphorus enrichment.
Conservation Authorities look forward to continuing to partner with government and other organizations to implement actions consistent with these recommendations such as monitoring phosphorus sources and connections to the Great Lakes and implementing best management moecc cap and trade design options trees appropriate for sub-watersheds conditions. It was recommended that proponents must have written confirmation from the local Conservation Authority to obtain an amendment to a REA and that Stormwater Management Plans and Erosion and Sediment Plans should address both surface and groundwater impacts.
Conservation Ontario's comments on the "Discussion Paper: Enhancements to the FIT Program". These bulletins are intended to provide more detailed guidance around O.
Amendment to Conservation Ontario comments re. CO comments focus on discussing where, when and how the Province should make Crown land available for offshore wind projects EBR CO is concerned that Conservation Authorities are being told that they are an important partner in the green economy and yet barriers to effective partnership, such as ineligibility, are being kept in place.
Conservation Ontario commends the Ministry of the Environment for encouraging proponents to proactively engage Conservation Authorities throughout the regulatory process. Although supportive of the green energy agenda, CO expressed concern with the proposed amendments. Lakes Water Quality Agreement: Regulation Wellsmade under the Ontario Water Resources Act, is the regulation that governs the construction, maintenance, and decommissioning of water wells in Ontario.
Based on a review of watershed management in Ontario, it provides a series of recommendations that focus on ways that the province could improve upon current practices, and thus strengthen the role that watershed management plays in protecting the long-term security of drinking water supplies. CO 's comments provide a general overview of the Conservation Authority CA perspective on fill management and focus specifically on the CA mandate in relation to the best management practices identified within this document.
This paper was prepared to make Conservation Authority CA staff aware of the emerging issues and complications associated with large-scale fill operations and it is intended to encourage CAs to complete strategic work within their watershed in advance of facing a challenging large-scale fill operation. The coordinated comments is supportive of the proposed changes as they appear to be primarily enabling in nature, but will allow for better integration with the Clean Water Act.
A Proposal moecc cap and trade design options trees modernize and strengthen the Aggregate Resources Act policy framework". As stated on the Environmental Registry, the Blueprint sets out to build a framework that will better support aggregate management in the province and help achieve the province's four main goals: Cornerstone Standards Council CSCis a non-profit organization that is developing a voluntary certification system for responsible pits and quarries in Ontario.
CO submitted comments on the draft certification standards. CO was supportive in principle of the overall direction to aggregate operators provided by the proposed Moecc cap and trade design options trees. In particular, the certification process should be more clearly linked to successful adherence to requirements, performance benchmarks and metrics. Further emphasis should be placed on requirements for existing operations and content of rehabilitation plans, consideration of cumulative impacts and the use of a landscape planning approach.
It was also suggested that the proposed Standards indicate that Conservation Authorities may be engaged and consulted for their expertise where appropriate. Conservation Ontario's comments encouraged the Federal Government to continue and consider making future investments in Conservation Authority green and grey infrastructure and related programs and services, to use an Integrated Watershed Planning and Management framework to base decisions on infrastructure investments, and to recognize that Conservation Authorities are ready to assist in the development of a comprehensive infrastructure action plan to better predict, prepare for and respond to weather related emergencies and natural disasters.
The Approaches to Manage Regulatory Event Flow Increase Resulting From Urban Development document provides guidance on approaches to address increases in regulatory flood risk as a result of moecc cap and trade design options trees and proposed urban development.
The rules and process for a CA to enter into an moecc cap and trade design options trees with the MNRF for this network are outlined in this document. These bulletins establish construction and operation requirements for dams and requirements for location approval, operating plans, plan implementation and plan amendments.
In particular, CO was supportive of the proposal to allow third parties to request a review of operating and water management plans. However, CO stressed that it is important that recreational river uses do not compromise public safety and security of water supply for the river.
CO Council passed a resolution to request that the Ministry of Natural Resources initiate appropriate steps, in conjunction with Conservation Authorities, municipalities and other key stakeholders to develop a feasible and cost-effective solution to address the issue of urbanization and its potential to increase flood hazards.
Phragmites australis in Ontario. As stated on the Environmental Registry, the purpose of this discussion paper was to "provide information in order to stimulate ideas and seek input on challenges, opportunities, ideas and actions related to wetland conservation in Ontario" and to ultimately assist MNRF in developing a wetland strategy.
CO supports the proposed amendment which would continue the exemption for agricultural operations in relation to Bobolink and Eastern Meadowlark for moecc cap and trade design options trees interim period of 14 month and the nine principles proposed in Round Table Recommendation 3.
CO supports the proposed amendment which would continue the exemption for agricultural operations in relation to Bobolink and Eastern Meadowlark for an interim period of 14 months. CO's comments draw on CA experiences to highlight a number of issues with the way conservation is currently practiced in Ontario that could benefit from an overarching conservation plan. CO comments regarding the Ministry of Natural Resources? CO comments focus on the proposed habitat protection for Redside Dace.
CO encouraged the MNR to o move forward with its proposal to take on a strong leadership role in leveraging existing expertise and coordinating and supporting the efforts of partners such as Conservation Authorities in order to effectively manage invasive species. A Species at Risk package has been developed for each Conservation Authority watershed and includes a Distribution Map Reference Guide document, map legend, key map for the area of interest and a table which lists Species at Risk found within the Conservation Authority boundaries.
Some Conservation Authorities have multiple maps depending on data and watershed size. CO comments focus on four main themes: Comments were highly supportive of the inclusion of the Glenorchy Conservation Area in the Greenbelt Plan as well as the accompanying regulation but expressed concern about the proposal to provide municipalities with the opportunity to include urban river valleys within the Greenbelt Plan. The coordinated comments acknowledge the anticipated positive impact of most of the proposed amendments.
It is recommended to retain vulnerability scoring for significant moecc cap and trade design options trees recharge areas, to address non-point sources of pollution, and to revise the circumstances that influence if certain activities are significant-level threats to ensure protection to drinking water sources.
The coordinated comments encourage the Province to broaden the scope of the proposed moratorium; and consider Low Water Response programs, Clean Water Act water budget studies, surface water-groundwater interactions, and partnering with local Conservation Authorities in proposed research towards water resource management. Stewardship - Leadership - Accountability: Using cinematography and animated graphics, The Ripple Effect covers many Moecc cap and trade design options trees Water Protection topics in general terms, including: This DVD is aimed at mature audiences, but is also appropriate for high school and late-elementary school students.
It is an excellent introductory piece for education forums, open houses and information sessions with interested stakeholders and members of your community. If you are interested in receiving a DVD, please contact: A guide to caring for your well and protecting your family's health.
The Well Aware Booklet, produced by the Green Communities Association in partnership with the Ontario Ground Water Association, was designed to provide information to homeowners and businesses on how to protect their well. It also provide the public moecc cap and trade design options trees a better understanding of well water quality issues and how to address them. Resources Home Resources Search. Conservation Authority Engagement to Support Conservation of Fish Habitat As part of the Economic Action Plan, the federal government recently proposed to provide 10 million dollars over two years to support partnerships with local groups to implement a variety of projects that would improve the conservation of fisheries habitat.
CO Comments on Offshore Windpower: Protecting the Health of Ontario's Watersheds: Watershed Connections Download More Details.