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g f <br /> nonstructural five acre minimum lot size approach, without clustering,for monitoring and inspection of alternative treatment systems and <br /> stormwater Stops can be set up. <br /> • A realistic timetable must be developed for identifying areas appropriate for the <br /> cluster equivalent alternative (if clustering is not to be allowed everywhere), <br /> amending land use plans or creating a watershed land use plan if that is seen to be <br /> appropriate,amending development ordinances and zoning maps, and developing <br /> and financing inspection and maintenance programs for alternative treatment <br /> systems and structural stormwater Bl�gps. <br /> • The process and timing by which the various pieces of the overall <br /> implementation strategy will come on line is as important as the details of the <br /> standards and programs themselves. <br /> V EQUITY' <br /> • OWASA consumers are the principal beneficiaries of the implementation of the <br /> study and the protection of the University Lake Watershed. Should these <br /> consumers be asked to bear some or all of the costs associated with the study's <br /> implementation? By what means should this occur? <br /> • Should a transfer or purchase of development rights program be developed <br /> (through gaining legal authority and designation of donor and receiver sites)in <br /> order to compensate for the reduced development potential in the University Lake <br /> Watershed that is associated with the five acre minimum lot size requirement? <br /> Does this require the preparation of a joint land use plan for the watershed? (see <br /> Land Use) <br /> • How can the costs of the recommended programs for inspection and maintenance <br /> of stormwater structural BMPs and alternative sewage treatment systems be <br /> equitably financed? <br /> 6 <br /> • <br />