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<br />, <br /> <br />3 <br /> <br />such as property owners, local insurance agents, and mortgage lenders, may benefit from the information. <br />We also encourage you to prepare a related article for publication in your community's local newspaper. <br />This article should describe the assistance that officials of your community will give to interested persons <br />by providing these data and interpreting the NFIP maps. <br /> <br />The revisions are effective as of the date of this letter; however, within 90 days of the second publication <br />in The Aurora Sentinel, a citizen may request that FEMA reconsider the determination made by this <br />LOMR. Any request for reconsideration must be based on scientific or technical data. All interested <br />parties are on notice that, until the 90-day period elapses, the determination to modify the BFEs presented <br />in this LOMR may itself be modified. <br /> <br />Due to present funding constraints, we must limit the number of physical map revisions processed. <br />Consequently, we will not republish the FIRM and FIS report for your community to reflect the <br />modifications described in this LOMR at this time. However, when changes to FIRM Panels 0045 and <br />0185 and the FIS report for your community warrant a physical revision and republication in the future, <br />we will incorporate the modifications described in this LOMR at that time. <br /> <br />The floodway is provided to your community as a tool to regulate floodplain development. Therefore, the <br />floodway modifications described in this letter, while acceptable to FEMA, must also be acceptable to your <br />community and adopted by appropriate community action, as specified in Paragraph 60.3(d) of the NFIP <br />regulations. <br /> <br />This response to Mr. Hogan's request is based on minimum floodplain management criteria established <br />under the NFIP. Your community is responsible for approving all floodplain development, including this <br />request, and for ensuring that necessary permits required by Federal or State law have been received. With <br />knowledge of local conditions and in the interest of safety, State and community officials may set higher <br />standards for construction, or may limit development in floodplain areas. If the State of Colorado or your <br />community has adopted more restrictive or comprehensive floodplain management criteria, these criteria <br />take precedence. <br /> <br />The basis of this LOMR is, in whole or in part, a channel-modification project. NFIP regulations, as cited <br />in Paragraph 60. 3(b )(7), require that communities assure that the flood-carrying capacity within the altered <br />or relocated portion of any watercourse is maintained. This provision is incorporated into your <br />community's existing floodplain management regulations. Consequently, the ultimate responsibility for <br />maintenance of the channel modification rests with your community. <br /> <br />The map panels as listed above and as revised by this letter will be used for all flood insurance policies and <br />renewals issued for your community. <br /> <br />This determination has been made pursuant to Section 206 of the Flood Disaster Protection Act of 1973 <br />(Public Law 93-234) and is in accordance with the National Flood Insurance Act of 1968, as amended <br />(Title XIII of the Housing and Urban Development Act of 1968, Public Law 90-448), 42 U.S.C. 4001- <br />4128, and 44 CFR Part 65. Pursuant to Section 1361 of the National Flood Insurance Act of 1968, as <br />amended, communities participating in the NFIP are required to adopt and enforce floodplain management <br />regulations that meet or exceed minimum NFIP criteria. These criteria are the minimum and do not <br />supersede any State or local requirements of a more stringent nature. This includes adoption of the <br />effective FIRM to which the regulations apply and the modifications described in this LOMR. Our records <br />show that your community has met this requirement. <br />