Browse
Search
CFE agenda 121415
OrangeCountyNC
>
Advisory Boards and Commissions - Active
>
Commission for the Environment
>
Agendas
>
2015
>
CFE agenda 121415
Metadata
Thumbnails
Annotations
Entry Properties
Last modified
3/2/2018 10:51:13 AM
Creation date
3/2/2018 10:47:51 AM
Metadata
Fields
Template:
BOCC
Date
12/14/2015
Meeting Type
Regular Meeting
Document Type
Agenda
Document Relationships
CFE minutes 121415
(Message)
Path:
\Advisory Boards and Commissions - Active\Commission for the Environment\Minutes\2015
There are no annotations on this page.
Document management portal powered by Laserfiche WebLink 9 © 1998-2015
Laserfiche.
All rights reserved.
/
68
PDF
Print
Pages to print
Enter page numbers and/or page ranges separated by commas. For example, 1,3,5-12.
After downloading, print the document using a PDF reader (e.g. Adobe Reader).
View images
View plain text
54 <br />order to receive development approval(s). If this interpretation is correct this will <br />impact current regulations governing private road justification as contained within <br />Section 7.8.5 of the UDO. <br />We may have to modify and lessen our private road justification standard(s) to <br />comply with the law. <br />Ultimately the County has until January 1, 2017 to be compliant with applicable State <br />regulations associated with the implementation and enforcement of riparian buffer <br />standards. Having said that the State is requesting formal, written notification from local <br />governments outlining their anticipated course of action (i.e. preparing a scientific study <br />for review by the EMC amending ordinances to be consistent with State law ; <br />demonstrating existing regulations already comply, etc.) by February 1, 2016. <br />It should be noted these issues and impacts are different from those being addressed <br />by the Erosion Control /Stormwater division as State law changes with respect to <br />stormwater regulations require local governments to cease and desist enforcement of <br />temporary regulations (i.e. Jordan Lake rules) in its entirety until further and formal <br />rulemaking occurs at the State level. There will be a more immediate impact that will <br />have to be addressed by staff on this topic. <br />IMPACTS: The impacts of the Session Law are broken down as follows: <br />a. IMMEDIATE- <br />i. Staff will continue the current dialogue with State officials <br />arguing our buffer requirements are connected with our <br />watershed management program and are, therefore, consistent <br />with State law and can continue to be implemented as written. <br />Clarification of existing language will still be required and staff <br />believes we will be required to re- submit our watershed <br />management program to the State for re- certification. <br />ii. Staff will finalize and release for internal peer review the RFQ <br />soliciting a professional firm to complete the required scientific <br />study for presentation to the EMC in the event the State rejects <br />our argument(s) outlined herein. <br />iii. Staff will have to complete an assessment of all section(s) of the <br />UDO that will have to be amended to ensure compliance with <br />State law in case we do not prevail with our 2 viable options. <br />b. INTERMEDIATE /LONG RANGE: <br />Staff will need to complete an assessment of adopted <br />Comprehensive Plan policies for potential modification to <br />address compliance with new State regulations. <br />Staff will need to engage in public outreach to `educate' local <br />residents on revised buffer regulations. <br />Staff is available to provide additional feedback and guidance as necessary. <br />
The URL can be used to link to this page
Your browser does not support the video tag.