Thank you for the opportunity to comment on the draft Criteria for Substitution. We have had an opportunity to review the draft Criteria for Substitution set out in your memo of July 30, 1997, and have the following comments.
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How well are we protecting fish and their habitat in BC? The numbers are not encouraging. The combined salmon catch for 1995 and 1996 is the lowest of any two year period in the last 35 years.
This brief is an addendum to West Coast Environmental Law Association's July 24th brief on proposed amendments to the administrative remedies provision in the Forest Practices Code of British Columbia Act.
This brief discusses proposed amendments to the administrative remedies provisions of the Forest Practices Code.
The BC Endangered Species Protection Workshop is hosted jointly by West Coast Environmental Law Association and the BC Endangered Species Coalition.
ENGOs perspectives on emissions trading are increasingly dependent on the details of individual emissions trading programs and judgments of whether a program's particular environmental pros and cons outweigh the pros and cons of "command and control" alternatives.
I was asked to provide environmentalists' perspective on U.S. proposals for greenhouse gas emission trading between nations. To begin with it should be pointed out that there is no single defined position of environmentalists, but instead a range of opinions.
Following are general comments on the draft Agreement, followed by comments on a number of specific provisions on the draft text.
West Coast Environmental Law Association.
B.C. Environmental Assessment Act