HomeMy WebLinkAboutConstituent Letter - Mail Packet - 1/24/2023 - 12 - Letter From Mayor Jeni Arndt To Land Conservation And Stewardship Board Re: 1041 Regulations Recommendations
Mayor
City Hall
300 LaPorte Ave.
PO Box 580
Fort Collins, CO 80522
970.416.2154
970.224.6107 - fax
fcgov.com
January 19, 2023
Land Conservation and Stewardship Board
c/o Katie Donahue, Natural Areas Department Director and LCSB Liaison
PO Box 580
Fort Collins, CO 80522
Dear Chair Elson, Vice Chair Cunniff, and Board Members:
On behalf of City Council, thank you for providing us with the January 11, 2023 memorandum
regarding “1041 Regulations Recommendations” wherein you summarized the Board’s
recommendation to utilize the broader range of 1041 regulatory measures available to local
governments to strengthen the City of Fort Collins’ regulatory authority and commitment to
protect public health, safety, welfare, the environment and wildlife resources.
We acknowledge that you are closely watching for the third iteration of the regulations to be
provided before the January 25, 2023 Planning and Zoning Commission meeting. As you know,
Council currently has this item scheduled for discussion on February 7, 2023 and we encourage
you to view the proceedings in person at City Hall or online at fcgov.com.
Thank you for the expertise and perspectives that you bring to the Board and share with City
Council.
Best Regards,
Jeni Arndt
Mayor
/sek
cc: City Council Members
Kelly DiMartino, City Manager
MEMORANDUM
Land Conservation & Stewardship Board
To - Fort Collins City Council
From - Land Conservation and Stewardship Board (LCSB)
Date - January 11, 2023
Subject - 1041 Regulations Recommendations
While the Board appreciates that Natural Areas is of one of the three geographic areas to
which the draft 1041 regulations apply, we recommend utilizing the broader range of 1041
regulatory measures available to local governments under C.R.C. § 24-65.1-101 et seq. and
the City’s Home Rule status to strengthen the regulatory authority and commitment of the
City of Fort Collins to protect public health, safety, and welfare, the environment and wildlife
resources within our city boundaries.
Please note that this memo was written in January 2023 prior to receiving the third major
iteration of the 1041 draft regulations. Therefore, this memo is based on presentations and
briefings from City Staff. As indicated by staff, the draft regulations will not be published for
public review until just prior to the January 25, 2023, Planning and Zoning Commission
meeting. The LCSB members intend to review any updates from staff, including the next
major update of the draft regulations, and comment further as needed.
Concerns and Recommendations:
● Geographic Thresholds: The reduction in geographic scope from a city-wide application,
inclusive of both city-owned property and property owned by private residents, to a
substantially reduced scope is disappointing and fails to comply with original Ordinance,
No. 122, 2021. While we appreciate that Natural Areas is of one of the three geographic
areas that are protected by 1041 Powers, we also acknowledge that impacts to our Natural
Areas can arise from projects occurring offsite of Natural Areas, for instance, with hazardous
materials leaks from construction and maintenance operations, or upstream water diversions
that affect historic downstream hydrological flows. Natural areas are inextricably
interconnected with adjacent areas. LCSB therefore recommends that Council continue to
develop and strengthen its 1041 regulations to the maximum extent permissible under State
law.
● FONSI vs FONAI: The well-established “Finding of No Significant Impacts” (FONSI)
process is well-understood in environmental law and practice. It has been used over many
decades and has case law and regulatory interpretation supporting it. In contrast, the
“Finding of Negligible Adverse Impacts” (FONAI) process is subjective and not widely used.
LCSB recommends that Council retain the FONSI evaluation standard.
MEMORANDUM
Land Conservation & Stewardship Board
1/11/2023 Page 2
● Activities and Areas of State Interest: The LCSB recommends that Council expand the
covered 1041 Activities to include Mineral Resource Areas to strengthen the City’s
regulatory authority over any proposed mineral extraction development and operations
related to siting of surface or subsurface oil and natural gas wells or conveyance pipelines,
sand and gravel extraction, or other extractive Activities as allowed by State statute.
● Buffer Zones: The Buffer Zones that exist in the City Code today are too small with
respect to adverse impacts and are frequently compromised by existing development. The
existence of the built environment does not mitigate potential impacts of the covered 1041
Activities. LCSB recommends that an ecologically-sound Natural Resources Buffer
Standard be developed that would protect Natural Areas from on- and off-site impacts and
require complete remediation should such impacts occur despite the existence of these
regulations.
● Outreach and Neighborhood Meeting: For each application, LCSB recommends that
the City should conduct a robust outreach process and include responses to any concerns
collected in the Neighborhood Meeting and public comment process as a distinct criterion
for the initial FONSI or FONAI determination.
● Financial Security Requirements: An ad-hoc process is not predictable for applicants or
residents. LCSB recommends that guidelines and expectations regarding Financial
Security be codified in policy.
● LCSB recommends that all projects that impact Natural Areas require full review
regardless of project thresholds, including modifications and enlargements.
Finally, although LCSB recognizes that Staff was constrained in which potential 1041
Activities and Areas of Interest it was allowed to explore, we recommend that Council
continue to further develop 1041 regulations which cover all possible city-wide Activities and
Areas of Interest as allowed by State statute.