What we would like to see in that space, and what would assist things, would be to put in place developments of alternative compliance mechanisms for low-risk, routine activities that would be relatively simple. We need to actually identify what those clear pathways to compliance are for existing facilities.
We should be looking at alternative compliance mechanisms, things like codes of practices and the codes that are actually useful for industry. We need the department to look at and acknowledge existing best management practices. We could look at greater use of provincial regulatory processes instead of seeing duplications. Right now, in the absence of this, a number of our members have facilities that are not in compliance. They do not have FAAs.