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COM 0334.002 2016-2018
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COM 0334.002 2016-2018
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Last modified
7/19/2017 8:11:31 AM
Creation date
7/18/2017 10:00:19 AM
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Communications
Communications - Type
COM
Communications - Council Term
2016-2018
Communication
0334
Point
002
Author
Frank J. DeMarco, Director DPW
Communications - Referred To
COUNCIL
Document Relationships
BIL 050 Draft 01 2016-2018
(Related To)
Path:
\Council Records\Bills\2016-2018
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I wanted to clarify in writing that the DFIRM maps have already been preliminarily <br /> accepted by FEMA; that the public comments for the DFIRM maps were closed in <br /> 2016; and that the Department of Public Works (DPW) is already regulating <br /> floodplains based on these DFIRM maps. The DFIRMs do include several physical <br /> map revisions as part of FEMA's mandatory process to redo an entire FIRM panel <br /> based on large flood studies that have gone through public notice and both FEMA <br /> and the County's review. Some examples of large flood studies included on the <br /> Preliminary DFIRMs are: <br /> • North Kona Flood District Flood Hazard Study <br /> • South Kona Phase 1 and 2 Flood Studies <br /> • Pu'ukapu Flood Study <br /> • Waiakea and Palai Stream Flood Study <br /> • Coastal mapping initiated by the County and completed by FEMA's <br /> consultant <br /> 2. The Bill does not increase the amount of available exceptions to the Building Code <br /> (HCC Chapter 5). At the PWPRC meeting on July 6,2017, concerns were <br /> expressed about potentially increasing exceptions to the Building Code. Please <br /> understand that the Bill does not increase the exceptions to the Building Code but <br /> reorganizes existing exceptions to the Building Code for ease of reference. The <br /> present version of HCC §5-19 does not separate, by section or subsection,the <br /> exceptions to the Building Code from the requirements for permits, so it may be <br /> confusing and/or difficult to cite those exceptions. For example,there are presently <br /> two different subsections that could be referred to as "HCC §5-19(b)(2)"—a <br /> provision requiring permits for solar water heating systems and a different <br /> provision allowing for an exception to the permit requirement for certain temporary <br /> structures. <br /> Accordingly,to clarify these citations and make the permit requirements and <br /> exceptions easier to cite and follow,we are proposing the building permit exceptions <br /> be moved to a separate code section. <br /> The existing section does not require the applicants or builders to confirm with <br /> DPW that a structure is not going to be placed in a high-risk flood zone. This <br /> requirement has been included in the proposed bill. If such an otherwise-exempt <br /> structure is going to be placed in a high-risk flood zone,the builder or applicant will <br /> then need to work with the DPW to conform to the existing requirements of HCC <br /> Chapter 27. <br /> There was also a discussion about an entity (Big Island Dairy) which did not need a <br /> grading permit from the Department of Public Works (issued under HCC Chapter 10) <br /> because that entity's operations are in a Soil and Water Conservation District and the <br /> entity had a plan approved by the District. That matter also raised concerns within the <br /> DPW but that matter is unrelated to the present Bill amending Chapters 5 and 27. <br /> County of Hawai'i is an Equal Opportunity Provider and Employer. <br />
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