

e.g. new ICT design, a relook on customer services in general, greater inclusion for a whole range of people that are
disadvantaged, a better way finding system for tourists, etc.
The Accessibility Directorate has produced over 30 videos showcasing accessibility in Ontario.
The accessibility reports and plans have produced change and a number of both public and private organizations
have gone beyond the requirement in various areas. A shiny example is Ontario’s Government, e.g. by launching its
Public Service Accessible Customer Service Policy, by being the first public sector organization to file its compliance
report, by establishing its Public Service Multi-year Accessibility Plan and by publishing its Multi-Year Accessibility
Plan: 2012 Annual Status Report.
F
ACTS ON
O
UTCOME
,
I
MPACT AND EFFECTIVENESS
1.
According to the Moran Report, at this half-way point to the 2025 goal of Ontario being fully accessible, it seems
clear that much good work has been done, but that, however, the novelty of the AODA regime has also meant
that the pace of change has been slower than many hoped. Although the AODA overall continues to be
positively viewed – including by people with disabilities – the rate of progress is a widespread source of concern.
Perhaps the most overwhelming number of concerns with barriers was raised about the built environment and
the issue of retrofits to remove existing barriers was seen as particularly important (since current accessibility
requirements apply only to new buildings and extensive renovations). The AODA should address better non-
visible disabilities, such as mental illness, autism, etc. Efforts to raise awareness have fallen seriously short,
particularly with businesses. There is widespread “fatigue” – implementation fatigue, training fatigue and
review fatigue, as current standards are often not clear enough about what is required, have serious gaps, their
timelines are too long, several requirements are weak, and exemptions are too broad. In the disability
community, the view was widely held that the Government should begin work immediately on new standards
for education – including the pre-school, school and post-secondary stages – and for the entire health care
system, and that the Built Environment Standard has to include residential housing (“visitability standards”). The
AODA does not contain any mechanisms to address costs. A further concern was the slow pace of the
Government’s promised review of provincial laws and regulations: In 2013, the Government stated that, by the
end of 2014, 13 ministries will have reviewed 51 statutes (this leaves about 700 other statutes, as well as 1,500
regulations, still to be examined). Concerning the private sector: Figures of November 2013 showed that about
30 per cent of the 51,000 organizations with 20 or more employees that were required to file compliance
reports had done so. In addition, compliance reports reflect no measurable objectives that would tell
organizations where they are, what remains to be done or how they rate. On the other hand, the personnel of
the Accessibility Directorate of Ontario (ADO) are widely seen as being as positive and proactive as possible,
within the limits that they have been given. In particular, ADO’s online Accessibility Compliance Wizard got a
very positive response.