As a co-applicant in a judicial review for the proposed snowmobile grooming hub project at Mount Carleton Provincial Park, I was pleased to hear that the Department of Tourism had decided to register this project for an Environmental Impact Assessment (EIA). An EIA means that Tourism would need to explain what negative impacts the grooming hub might have had on the park. But,  somehow Tourism received permission from the Department of Environment to have two of the 12 components of this project exempted from their EIA registration document—the bridge at the ford between Bathurst Lake and Camp Lake and the other at Moose Brook. This means that the EIA for this project has been irreconcilably compromised.  Note that in every deliberation we have had with Tourism on this project, the bridges have always been presented to us as being important components of the snowmobile grooming hub.  So, when Chief Ron Tremblay and I met with the Department of Environment to find out how it happened that the bridges had been exempted, we learned that the decision Environment made was based on the information that they had received, and that whether or not that information was correct was immaterial. It has therefore been extremely disappointing for us to learn that the bridge work at Mount Carleton has now been allowed to start. Our take home lesson is that it appears that New Brunswick’s EIA regulations can be tampered with and that whenever this happens, there is no remedy.

New Brunswickers are invited to read the Environmental Impact Assessment document for the snowmobile grooming hub project and to please make their comments/concerns known to both the Department of Tourism and Department of Environment.  A pdf of this report may be found on the web at: http://www2.gnb.ca/content/dam/gnb/Departments/env/pdf/EIA-EIE/Registrations-Engegistrements/documents/EIARegistration1444.pdf

Jean Louis Deveau

News from Groups Archives

Upcoming Events


NGO webinar on the Canadian Environmental Protection Act
Wed, Dec 13th, 2017


NBEN Holiday Reception
Wed, Dec 20th, 2017
Fredericton

ASCF-CRI Webinar: Jani Helminen and Tommi Linnansaari
Wed, Jan 10th, 2018

Action Alerts

Have your say on Draft Water Strategy!

Wednesday, 15 November 2017
by Conservation Council of New Brunswick
A Water Strategy for New Brunswick

On October 6, 2017, the department of Environment and Local Government released a draft water strategy for comments. The draft strategy is available on the government website. Comments can be submitted by email to: waterstrategy-strategiedeleau@gnb.ca or by mail to: Department of Environment and Local Government, Policy and Planning Division, P.O. Box 6000, Fredericton, N.B., E3B 5H1. Comments will be accepted until November 20, 2017.

In order to help groups with their submissions, the Conservation Council of New Brunswick, in cooperation with watershed groups, has put together key elements of a watershed strategy and a sample letter to send to the Department.

Summary​ ​of​ ​8​ ​Key​ ​Elements​ ​of​ ​a​ ​Strong​ ​Water​ ​Protection​ ​Strategy

New​ ​Brunswick​ ​deserves​ ​a​ ​water​ ​protection​ ​strategy​ ​that:
    1. is​​ ​​science-based;​ ​(involving​ ​baseline​ ​data,​ ​tracking​ ​and​ ​taking​ ​into​ ​consideration cumulative​ ​impacts,​ ​environmental​ ​flows)
    2. sets​ ​water​ ​quality​ ​standards​ ​within​ ​a​ ​working,​ ​legal​ ​mechanism;
    3. conserves​ ​all​ ​water​ ​within​ ​​watersheds​ ​including​ ​surface​ ​waters​ ​(lakes,​ ​streams,​ ​rivers) and​ ​groundwater,​ ​by​ ​developing​ ​good​ ​conservation​ ​plans,​ ​policies​ ​and​ ​practices,​ ​and uses​ ​the​ ​precautionary​ ​principle​ ​as​ ​a​ ​guiding,​ ​legally​ ​enforceable​ ​tool;
    4. protects​ ​our​ ​marine​ ​coastal​ ​areas​ ​in​ ​law;
    5. has​ ​a​ ​meaningful​ ​form​ ​of​ ​​co-governance​ ​with​ ​First​ ​Nations;
    6. includes​ ​the​ ​development,​ ​implementation​ ​and​ ​enforcement​ ​of​ ​watershed​ ​protection plans,​ ​developed​ ​in​ ​a​ ​transparent​ ​manner,​ ​involving​ ​government,​ ​businesses,​ ​watershed organizations,​ ​farmers,​ ​municipal​ ​officials,​ ​and​ ​citizens;
    7. is​ ​accountable,​ ​which​ ​includes​ ​ongoing​ ​monitoring​ ​and​ ​annual​ ​reporting​ ​to​ ​the​ ​public​ ​on the​ ​progress​ ​of​ ​goals​ ​and​ ​objectives​ ​outlined​ ​in​ ​the​ ​water​ ​protection​ ​strategy;​ ​and,
    8. is​​ ​enforceable​ ​through​ ​a​ ​modern​ ​legal​ ​framework
Sample Letter
 My name is ______, and I am writing to express my support for a strong Water Strategy in New Brunswick.

I live near ______ OR I live in ___________ watershed

Describe your favourite spot to fish/swim/paddle etc.

Share your favourite water memory.

Clean, healthy water is important to me because _____________.

Have you recently experienced a boil water order? Blue-green algae? Extreme weather? Describe what is of concern to you.

I applaud the provincial government for moving forward on its commitment to protecting our water; however I believe the draft strategy does not go far enough to ensure healthy water for my watershed.

We need a water protection strategy that (Insert one or multiple key elements).

I am afraid that if left unattended, my watershed will face ongoing and increasing treats from (pollution, wetland and coastal estuary loss, loss of adequate environmental flow to sustain aquatic life, and increasing climate change impacts such as floods, droughts, and high temperatures.)

Please protect my watershed by implementing a strong water protection strategy with modern legislation that (note key element(s)) to ensure the health of our water and people.

Thank you,
Your name.

For more information, visit the CCNB's website.

Call for nominations for the NBEN Awards - 2017

Monday, 31 July 2017
by Annika Chiasson
Every day people and environmental groups take action to protect and restore New Brunswick’s environment.  

Over this past year, who stands out in your mind? 

We invite you to nominate a group or individual deserving of one of the NBEN awards which will be presented in style at Eco-Confluence 2017.  Send an e-mail to nben@nben.ca describing your nominee’s work.  Nominees must be members or associates of the NBEN*.

Nomination deadline is September 13, 2017.

*Current NBEN Steering Committee members are not eligible for awards.