CELA counsel Richard Lindgren submitted a brief to Ontario's Environment Ministry regarding administrative penalty regulations under the province's environmental legislation

CELA counsel Richard Lindgren submitted a brief to Ontario's Environment Ministry regarding administrative penalty regulations under the province's environmental legislation
Response to ERO 019-0045: The proposed administrative penalties regulation under the Resource Recovery and Circular Economy Act
A submission by 27 non-governmental organizations (updated as of June 1, 2021) in response to the draft of Canada's Great Lakes Strategy for PFOS, PFOA and LC-PFCAs Risk Management (draft Strategy) released on April 26, 2021. This submission was originally submitted May 26, 2021.
In this blog, staff lawyer Richard Lindgren explains why CELA supports the Global Pact on the Environment.
Posted by John Jackson, Canadian Co-chair, Toxics Free Great Lakes Binational Network and Michael Murray, Ph.D., U.S. Co-chair, Toxics Free Great Lakes Binational Network and Staff Scientist, National Wildlife Federation Great Lakes Regional Center
This joint statement is a response to proposed amendments to the operating agreement between the Minister of Environment, Conservation, and Parks and Resource Productivity and Recovery Authority (ERO 019-2886)