HomeMy WebLinkAboutFDP201600009 Review Comments Floodplain Development Permit 2016-11-10COUNTY OF ALBEMARLE
Department of Community Development
401 McIntire Road, Room 227
Charlottesville, Virginia 22902-4596
Phone (434) 296-5832 Fax (434) 972-4126
Project: 5' Street North of 5t1i Street and I-64 Intersection — FEMA CLOMR-F
Plan preparer: Scott Collins, Collins Engineering [200 Garrett St., Suite K, Charlottesville, VA
22902, scott(a)collins-en ing eering com]
Plan received date: 10/10/2016
Date of comments: 11/10/2016
Reviewer: Frank V. Pohl, PE, CFM
The following information is missing from your application or requires revision:
a. Elevation form (FEMA Form MT-1 Form 2) and FIRM Panel both indicate a base flood elevation
(BFE) of 383.0. However, the floodplain analysis provided indicates a BFE of 383.83 (Dewberry
& Davis LLC, Technical Memorandum, April 3, 2001 for the Morris Creek Yacht Club Project).
Project study BFE must match current FEMA BFE data.
b. MT-1 Form 2 Page 1 of 2 — BFE Source is empty. Please include source of BFE information.
c. § 65.8 Review of proposed projects. A community, or an individual through the community, may
request FEMA's comments on whether a proposed project, if built as proposed, would justify a
map revision. FEMA's comments will be issued in the form of a letter, termed a Conditional Letter
of Map Revision, in accordance with 44 CFR part 72. The data required to support such requests
are the same as those required for final revisions under Sec. 65.5, 65.6, and 65.7, except as -built
certification is not required. Please submit all required information, link is provided here.
https://www.fema.goy/pdf/floodplain/nfip sa appendixe.ndf
d. Please submit proposed plans and cross sections, certified by a registered Professional Engineer,
for all the project elements.
e. 65.12 — Regulatory Requirements: Since the Dewberry floodplain analysis shows a 0.02-ft rise in
the floodplain, please submit: a) certification that no structures are affected by the increased BFE;
b) documentation of individual legal notice to all affected property owners, explaining the impact
of the proposed action on their property; and c) an evaluation of alternatives that would not result
in an increase in BFE.
f. Based on the FEMA checklist for CLOMR applications, the correct process is to obtain
community review and concurrence prior to submitting application to FEMA for review.
Sincerely,
Frank V. Pohl, PE, CFM