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Last modified
3/3/2009 4:13:27 PM
Creation date
12/8/2004 3:02:27 PM
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Template:
Planning Files
Planning Files - Planning File #
3082
Planning Files - Type
Comprehensive Plan Amendment
Address
2660 CIVIC CENTER DR
Applicant
CITY OF ROSEVILLE
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<br />JUN-07 99 08:05 FROM: <br /> <br />TO: 6124902931 <br /> <br />, PAGE: 04 <br /> <br />{;'7.,Q9 <br /> <br />1121193 <br /> <br />METROPOLITAN COUNCIL <br />Mears Park Centre, 230 East rUth Street, SL Paul, Minnesota 55101 <br />612 291-6359 TDD 612 291-0904 <br /> <br />MODEL STORM WATER MANAGEMENT ORDINANCE <br /> <br />The model storm water management ordinance should assist communities in the Twin Cities <br />metropolitan area in implementing tbe Metropolitan Council's Interim Strategy to Reduce Nonpoint <br />Source Pollution to All Metropolitan Water Bodies. The Council adopted the strategy for the <br />Minnesota River Basin, effective September 30, 1992, and for the remainder of the metropolitan area <br />effective January 1, 1993. The strategy mcludes three essential requirements. These requirements <br />are important components to addressing the water quality problems caused by nonpoint source <br />pollution in the metropolitan area. <br /> <br />The first requirement is that loca! governments througbout the metropolitan area must adopt design <br />standards for new storm water ponds that will reduce the contaminant 10adin~ from surface water <br />runoff. One set of design criteria that is widely accepted is from the National Urban Runoff Program <br />(NURP). The second requirement is that local governments in the metropolitan area must also <br />follow the urban "best management practices" as outlined in Protecrine:- Water Duality in Urban <br />keas. published by the Minnesota Pollution Control Agency, or au equivalent set of standards. <br />Sections 8.1 through 8.16 of the model ordinance detail suggested desigJ1 criteria and best <br />management practices. These sections form the heart of the ordinance. The remaiaing sections of <br />tbe lDodel ordinance are not as critical The remSlining sections essentially establisb a process for the <br />implementation of the design criteria and best management practices. <br /> <br />The third requirement is that all local governments in the metropolitan area must adopt the <br />Minnesota Department of Natural Resources shoreland regulations. These regulations are found in <br />Statewide Standards For Managem~t of Shoreland Areas published by the Minnesota Depanment <br />of Natura! Resources. The Minnesota Department of Natural Resources has estabmbed a timeline <br />and format for the adoption of the shoreland regulations. The model ordinance does not address the <br />sboreland regulations. Local governments should work with the Minnesota Department of Natural <br />Resources to detennine the most effective way to implement the shoreland regulations. <br /> <br />The model ordinance is intended to be a resource for communities to use in adopting official controls <br />which are consistent with design standards for new storm water ponds which will reduce the <br />contaminant loadings from surface water runoff and which are consistent with the "best management <br />practices" for land development with r~pect to storm water runoff. The ordinance provides a <br />comprehensive approach to addres5iDg the issue of storm water runoff. <br /> <br />It is impossible to draft a model ordinance to 6t perfectly into all of the innumerable varieties of <br />regulatory programs that exist at the local government level The ordinance is designed to be adapted <br />to the unique characteristics or each local government organization. The ordinance could be <br />combined with or replace existing ordinances, such as erosion control ordinances, which address issues <br />covered by the model ordinance. It is presumed that some provisions of the ordinance will be <br />modified or possibly even rejected altogether. Other provisions may have to be added. The <br />ordinance can be used as a "checklist" by local governments to analyze the adequacy of exist~ <br />controls. If a local government determines that a major element, such as inspection and maintenance. <br />
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