Deadline for the Implementation of Environmental Emergency Plans Fast ApproachingFacilities that store large quantities of substances listed in the Environmental Emergency Regulations, 2019 (Regulations) under the Canadian Environmental Protection Act, 1999 are required to have their environmental emergency plan (E2 Plan) implemented by August 24, 2020. While the deadlines imposed in the Regulations remain unaffected by COVID-19, social distancing and gathering restrictions put in place as a result of the pandemic may impact the implementation of the E2 plans, including the public notification requirements. Amendments to the RegulationsThe Regulations replaced the former Environmental Emergency Regulations that were in force since 2003. Amendments introduced with the Regulations included the addition of 33 new substances to the list, bringing the total regulated substances to 249. Other notable changes to the Regulations include:
Who is Subject to the Regulations?Any person who has the charge, management or control one of the substances listed in Schedule 1 of the Regulations at a facility that otherwise meets the prescribed thresholds for that substance must notify ECCC of the presence of the substance located at the facility. If the facility also meets or exceeds both the substance quantity and container capacity thresholds (for a substance stored in a container system), or the quantity threshold for a substance not in a container system, the person must also prepare and implement an E2 Plan. There are a number of substances that are excluded from the Regulations, including any substance regulated by the Transportation of Dangerous Goods Act, 1992 or the Canada Shipping Act. The list of excluded substances was expanded as part of the amendments incorporated into the Regulations. Facilities may rely on existing plans or plans prepared for another purpose, as long as the plan meets the requirements of the Regulations. Public Notification RequirementsThe Regulations expressly require that E2 Plans contain a description of the measures that will be taken to communicate with any members of the public who may be adversely affected by specific environmental emergency scenarios before the specified environmental emergency scenario occurs. The Regulations also require a description of the measures that will be taken to communicate with any member of the public during and after an emergency occurs. Specifically, members of the public who may be affected by the emergency must be informed of:
Other E2 Plan RequirementsE2 Plans must integrate all relevant aspects of risk management by providing proactive identification, assessment and mitigation measures and must address both on-site and off-site impacts of emergencies that affect environmental and human health. Every E2 Plan must include:
A full list of what the Regulations require can be found on the CanLII website. Key TimelinesAll regulated facilities are required to meet certain timelines established in the Regulations, which are set out below. These timelines could be triggered by the addition of new substances to Schedule 1, an increase in the concentration or total quantity of such substances at a facility, and/or a facility reaching container capacity thresholds:
Key TakeawaysThe deadline under the Regulations for facilities to implement their E2 Plans is fast approaching. Express public notification requirements make the public communication requirements a more involved process for many facilities, even if no environmental emergency ever occurs. Regulated facilities should consider how to meet the requirements effectively, particularly in light of COVID-19. Authors
Please note that this publication presents an overview of notable legal trends and related updates. It is intended for informational purposes and not as a replacement for detailed legal advice. If you need guidance tailored to your specific circumstances, please contact one of the authors to explore how we can help you navigate your legal needs. For permission to republish this or any other publication, contact Amrita Kochhar at kochhara@bennettjones.com. |