This consultation closes at 11:59 p.m. on:
May 10, 2024
Proposal summary
We are proposing to designate York1 Environmental Waste Solutions Ltd.’s proposal to re-establish landfill operations and re-establish and expand on-site waste transfer and processing operations in Chatham Kent as a Part II.3 project under the Environmental Assessment Act to require a comprehensive environmental assessment of the project.
Proposal details
Designation under the Environmental Assessment Act
The Environmental Assessment Act (Act) allows for a project to be designated, by regulation, as a project to which the Act applies.
We have heard the concerns of the people of Dresden about York1 Environmental Waste Solutions Ltd.’s proposal to start receiving waste at a local landfill site that has not been in operation since the 1980s. We also know that an environmental assessment has never been completed for this site, because the landfill predates Ontario’s environmental assessment requirements for landfills. We recognize the potential impact that a landfill of this size could have on the local residents and the surrounding environment.
In response to the significant public interest in the proposed project and the environmental concerns raised, in particular regarding potential impacts to species at risk, groundwater, surface water, increased truck traffic, odour, and other potential impacts to the local community, we are seeking comments on a proposal for a regulation that would, if made, require York1 Environmental Waste Solutions Ltd. to complete a comprehensive environmental assessment process for the project.
By requiring a comprehensive environmental assessment process for the project, additional opportunities for consultation with Indigenous communities and the public would also be provided.
Proposed Regulation
In order to designate York1 Environmental Waste Solutions Ltd.s project as being subject to the comprehensive environmental assessment process, a regulation would need to be made by the Lieutenant Governor in Council.
The proposed regulation would, if made, designate the following activities as a project subject to Part II.3 of the Act (comprehensive environmental assessment):
- Re-establishing landfill operations, including construction of a new landfill cell, within the approved site with a theoretical approved capacity of 1,620,000 cubic metres to landfill non-hazardous solid waste including construction and demolition waste and excess soil that are not reusable.
- Reestablishment and expansion of a waste transfer and processing station at the approved site for receiving, storing and processing up to 6,000 tonnes per day of solid, non-hazardous waste, including blue box waste, construction and demolition waste, tires, asbestos, excess soil and organic waste.
- In accordance with section 3(3) of the Act, the project would include any enterprise or activity ancillary to the project.
The proposed regulation would come into force on filing.
Proposed Project
York1 Environmental Waste Solutions Ltd. is proposing to build an 8-hectare engineered landfill cell and re-establish landfill operations at an existing landfill site, including construction of any other works or facilities such as screening, landscaping, onsite roads, and fencing to receive waste and restart waste management activities and landfilling at the site, located at 29831 Irish School Road, in the former Town of Dresden, Municipality of Chatham Kent, Ontario.
The proposed landfill would be used for the disposal of non-hazardous solid construction and demolition waste from industrial, commercial, institutional and municipal sectors, including excess soil that cannot be reused, from the Town of Dresden. The proposed landfill would operate 24 hours per day, 7 days per week, 365 days per year, and would have a maximum theoretical capacity of 1,620,000 cubic metres (including an estimated 40,000 cubic metres of previously landfilled material that exist currently in non-engineered cells).
As part of the project, York1 Environmental Waste Solutions Ltd. is also proposing to re-establish and expand waste processing and transfer operations at the site, including expanding the existing 0.8-hectare waste processing site to 25 hectares. The expanded waste processing site would operate 24 hours per day, 7 days per week. It would have a maximum daily receiving rate of 6,000 tonnes per day of non-hazardous solid waste including construction and demolition waste and excess soil for beneficial reuse. The waste processing facility would also have a maximum average residual waste limit of not more than 1,000 tonnes per day, averaged annually of non-hazardous solid residual waste destined for final disposal at approved landfills.
Other activities are also anticipated, including:
- the construction of a new processing / sorting building capable of indoor storage
- the addition of waste classes for accepted and processed waste (including sorted blue box materials, source-separated organics, asbestos-containing materials, tires, and soil, soil-like materials and excess soil for beneficial reuse)
- installation of stationary equipment for processing construction and demolition waste into alternative low-carbon fuels (ALCF) in the new processing/sorting building
- placement of mobile diesel-powered shredding/grinding equipment for wood/construction & demolition waste outdoors
- installation of a soil treatment/soil washing system for processing solid and liquid soil to recover sand and aggregate material
- construction of a stormwater management infrastructure
The project, as described, is not automatically subject to environmental assessment requirements under the Act.
The property, which was formerly known as the Dresden Tile Yard, was approved as a landfilling site in the 1980s and has been used as an approved landfill and waste processing / transfer site (both are located within the same property).
Environmental Compliance Approval Requirements
There are existing Environmental Compliance Approvals (ECA) for the site, which allow for an 8-hectare landfilling area and for a 0.8-hectare waste processing site within the 35-hectare property. Amendments to the waste disposal and waste processing site ECAs are required for the project. A new ECA is also required for proposed stormwater management works at the site.
York1 Environmental Waste Solutions Ltd. submitted applications to the ministry to meet these ECA requirements. If the proposed regulation is made, the Act provides that ECAs approving the project will not be permitted to be issued until the proponent receives approval under Part II.3 of the Act to proceed with the project.
Public Response
Through the ministry’s consultation on York1 Environmental Waste Solutions Ltd.’s ECA applications, we have heard concerns raised by the local community and municipality regarding the proposed reestablishment of landfill operations and the reestablishment and expansion of waste transfer / processing operations at the site.
Among the issues raised were concerns about potential impacts to species at risk, groundwater, surface water, increased truck traffic, odour, and other potential impacts to the local community.
Implementation and timelines
If a regulation is made designating the proposed project as a project subject to the requirements of Part II.3 the Act, York1 Environmental Waste Solutions Ltd. would be required to complete a comprehensive environmental assessment prior to proceeding with implementation of their project.
If made, the proposed regulation would come into effect on filing of the regulation.
Supporting materials
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