Common use of Baseline Land Use Conditions Clause in Contracts

Baseline Land Use Conditions. That which existed for Year 2001 for Big and Little Papillion Creeks and its tributaries (excluding West Papillion Creek) and for Year 2004 for West Papillion Creek and its tributaries. That which existed in 2007 for all areas not within the Papillion Creek Watershed. 1) Time is of the essence for policy development and implementation: a) Under the existing NPDES Municipal Stormwater Permits for MS4s, issued by the Nebraska Department of Environmental Quality, permitees must develop strategies, which include a combination of structural and/or non-structural best management practices for managing non-point source pollution. The current Stormwater Management Plan was developed by the PCWP in 2017 and fully implemented in 2018. b) The S&ID platting process is typically several years ahead of full occupation of an S&ID. Therefore, careful pre-emptive planning and program implementation is necessary in order to construct regional stormwater detention and water quality basin improvements in a timely manner to meet the purposes intended and to avoid conflicts from land use encroachments from advancing development. 2) Financing to meet capital and O&M obligations for stormwater management projects requires a comprehensive, uniformly applied approach and not a project-by-project approach. Stormwater Management Elements Shared by the Papillion Creek Watershed Partnership A. Public Education and Outreach Lead Partnership Member(s) B. Public Participation and Involvement Lead Partnership Member(s) C. Illicit Discharge Detection and Elimination Lead Partnership Member(s) D. Construction Site Runoff Lead Partnership Member(s) E. Post Construction Runoff Control Lead Partnership Member(s) F. Pollution Prevention and Good Housekeeping Lead Partnership Member(s)

Appears in 2 contracts

Sources: Interlocal Cooperation Agreement, Interlocal Agreement

Baseline Land Use Conditions. That which existed for Year 2001 for Big and Little Papillion Creeks and its tributaries (excluding West Papillion Creek) and for Year 2004 for West Papillion Creek and its tributaries. That which existed in 2007 for all areas not within the Papillion Creek Watershed. 1) Time is of the essence for policy development and implementation: a) Under the existing NPDES Municipal Phase II Stormwater Permits for MS4s, issued by the Nebraska Department of Environmental Quality, permitees must develop strategies, which include a combination of structural and/or non-non- structural best management practices for and incorporate them into existing Comprehensive Development Plans by the end of 20109.for managing non-point source pollution. The current Stormwater Management Plan was developed by the PCWP in 2017 and fully implemented in 2018. b) The S&ID platting process is typically several years ahead of full occupation of an S&ID. Therefore, careful pre-emptive planning and program implementation is necessary in order to construct regional stormwater detention and water quality basin improvements in a timely manner to meet the purposes intended and to avoid conflicts from land use encroachments from advancing development. 2) Financing to meet capital and O&M obligations for stormwater management projects requires a comprehensive, uniformly applied approach and not a project-by-project approach. Stormwater Management Elements Shared by the Papillion Creek Watershed Partnership A. Public Education and Outreach Lead Partnership Member(s) B. Public Participation and Involvement Lead Partnership Member(s) C. Illicit Discharge Detection and Elimination Lead Partnership Member(s) D. Construction Site Runoff Lead Partnership Member(s) E. Post Construction Runoff Control Lead Partnership Member(s) F. Pollution ▇. ▇▇▇▇▇▇▇▇▇ Prevention and Good Housekeeping Lead Partnership Member(s)

Appears in 1 contract

Sources: Interlocal Cooperation Agreement