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In J.W. Jones Co. V. City of San Die o, su ra, <br />757-758 (1984) the court stated "the ordinance is the key to <br />implementing San Diego's controlled growth concept as <br />formalized by the general plan and community plan. , . . <br />The vision of San Diego's future as sketched in the general <br />plan is attainable only through the comprehensive financing <br />scheme contemplated by the FBA. <br />For example, cities3 have amended their general <br />plans to adopt goals and policies relating to the need for <br />child day care centers and have in turn adopted ordinances <br />requiring developers to pay a fee for rehat uirepfunding <br />Similarly, cities have used this approach to <br />for public art. <br />e. Subdivision Process. <br />Dedication and in lieu fees through the subdivision <br />approval process comes from three basic sources. <br />(1) Specific conditions that may be imposed <br />by local ordinance through the Subdivisionet�apiA,ct (�5tutory <br />66410 <br />authorization contained in the <br />et seq. , Map Act) . <br />(2) Conditions that may be imposed through <br />the CEQA process and 5 66474(e). <br />(3) Conditions that may be imposed through <br />the definitions of "Design" and "Improvement" and reliance <br />on the General Plan, <br />1. Major provisions contained in the Map ,act by <br />which conditions may be .imposed by local <br />ordinance or ,are reguired--by the t itself.. <br />I <br />a. Parkland dedication or, in lieu fees <br />15 66477 ) "Qu imbue Act". <br />if the +City ° s general loran park and recreation <br />or specific <br />t <br />contains policies and standards pd <br />facilities« the City by ordinance may impose for a <br />residential subdivision a requirement of <br />ap reatio ark land <br />dedication or fees in lieu thereof , for p r <br />al <br />purposes following the ,statutory requirements contained in <br />S 66477 Associated Homebuilders v. Cit of Walnut Creek, 4 <br />Cal, <br />3d 6�(T Since anuar separate <br />recreational element of the General Plan is no longer a <br />3For example, see the City of Concord's regulations for child <br />dray care centers and public art. <br />