Preparation of Queensland’s EfWP is a golden opportunity for Queensland not to go down the narrow path that NSW EPA has with its EfW. ASBG’s submission was largely about avoiding a one rule fits all approach and permit flexibility in its EfW. Multiple examples are provided where and MSW style EfW rule set would prevent many innovative and alternative EfW projects getting started. Manufacturing can often use fuel/raw material additives in thermal process, which ASBG considered can be largely covered by Queensland’s existing End of Waste Codes instrument.