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<br />'. <br /> <br />2 <br /> <br />It must be emphasized that all of the standards specified in Paragraph 60.3( d) of the NFIP regulations must <br />be enacted in a legally enforceable document This includes adoption of the current effective FIS report and <br />FIRM to which the regulations apply and other modifications made by this map revision. Some of the <br />standards should already have been enacted by your community in order to establish initial eligibility in the <br />NFIP, Your community can meet any additional requirements by taking one of the following actions: <br /> <br />L Amending existing regulations to incorporate any additional requirements of Paragraph 60.3(d); <br /> <br />2. Adopting all of the standards of Paragraph 60.3( d) into one new, comprehensive set of regulations; <br />or <br /> <br />3, Showing evidence that regulations have previously been adopted that meet or exceed the minimum <br />requirements of Paragraph 60.3(d). <br /> <br />Communities that fail to enact the necessary floodplain management regulations will be suspended from <br />participation in the NFIP and subject to the prohibitions contained in Section 202(a) of the Flood Disaster <br />Protection Act of 1973 (Public Law 93-234) as amended. <br /> <br />In addition to your community using the FIS report and FIRM to manage development in the floodplain, <br />FEMA will use the FIS report and FIRM to establish appropriate flood insurance rates. On the effective <br />date of the revised FIRM, actuarial rates for flood insurance will be charged for all new structures and <br />substantial improvements to existing structures located in the identified SFHAs. These rates may be higher <br />if structures are not built in compliance with the floodplain management standards of the NFIP. The <br />actuarial flood insurance rates increase as the lowest elevations (including basement) of new structures <br />decrease in relation to the BFEs established for your community. This is an important consideration for <br />new construction because building at a higher elevation can greatly reduce the cost of flood insurance. <br /> <br />To assist your community in maintaining the FIRM, we have enclosed a Summary of Map Actions to <br />document previous Letter of Map Change (LOMC) actions (i.e., Letters of Map Amendment, Letters of <br />Map Revision) that will be superseded when the revised FIRM panels referenced above become effective. <br />Information on LOMCs is presented in the following four categories: (1) LOMCs for which results have <br />been included on the revised FIRM panels; (2) LOMCs for which results could not be shown on the revised <br />FIRM panels because of scale limitations or because the LOMC issued had determined that the lots or <br />structures involved were outside the SFHA as shown on the FIRM; (3) LOMCs for which results have not <br />been included on the revised FIRM panels because the flood hazard information on which the original <br />determinations were based are being superseded by new flood hazard information; and (4) LOMCs issued <br />for multiple lots or structures where the determination for one or more of the lots or structures cannot be <br />revalidated through an administrative process like the LOMCs in Category 2 above. LOMCs in Category 2 <br />will be revalidated through a single letter that reaffirms the validity of a previously issued LOMC; the letter <br />will be sent to your community shortly before the effective date of the revised FIRM and will become <br />effective I day after the revised FIRM becomes effective. For the LOMCs listed in Category 4, we will <br />review the data previously submitted for the LOMA or LOMR request and issue a new determination for the <br />affected properties after the revised FIRM becomes effective. <br />