Registry of Lobbyists

Monthly Communication Report

14692-543506

Corporation: Greater Toronto Airports Authority/Autorité aéroportuaire du Grand Toronto
Associated registration: 945839-14692-49
Communication date: 2022-09-23
Posted date: 2022-10-14

Designated Public Office Holders who participated in the communication: Neil Parry, Vice-president
Canadian Air Transport Security Authority (CATSA)

Craig Hutton, Associate Assistant Deputy Minister of Policy
Transport Canada (TC)

Kirsten Jacobsen, Associate Director General
Public Health Agency of Canada (PHAC)

Marie-Helene Levesque, Director General
Public Health Agency of Canada (PHAC)

Jennifer Lutfallah, Acting Vice President
Public Health Agency of Canada (PHAC)

Denis Vinette, Vice-President
Canada Border Services Agency (CBSA)

Sharon Spicer, A/Director
Canada Border Services Agency (CBSA)

Nicholas Robinson, Director General, Civil Aviation
Transport Canada (TC)

Colin Stacey, Director General, Air Policy
Policy Group, Air Policy, Transport Canada (TC)

Patrick Juneau, Director Aviation Safety Policy and Intelligence
Safety and Security Group, Civil Aviation, Transport Canada (TC)

Jennifer  Little, Director General
Transport Canada (TC)

Pamela Arnott, Associate Director General
Public Health Agency of Canada (PHAC)

Serge Bijimine, Assistant Deputy Minister, Policy
Transport Canada (TC)

Tamara Rudge, Regional Director General - Ontario
Transport Canada (TC)

Andy Cook, Associate Director General
Transport Canada (TC)

John Ommanney, Director General
Canada Border Services Agency (CBSA)

Kevin Brosseau, Assistant Deputy Minister, Safety and Security
Safety and Security Group, Transport Canada (TC)
 
Subject Matter of the communication: Transportation
 
Responsible Officer who filed this communication report: Deborah Flint
 
As the most senior paid officer, the person named above is responsible for certifying the communication report for the corporation or organization (Registrant). This person may or may not have participated in the reported communication.

The Lobbyists Registration Regulations do not require that the names of in-house lobbyists (i.e. employees of corporations or organizations) who actually participated in the communication be disclosed.
 

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