Request for Information on the National Flood Insurance Program's Floodplain Management Standards for Land Management and Use, and an Assessment of the Program's Impact on Threatened and Endangered Species and Their Habitats
Notice and request for information.
Citation: "86 FR 56713"
Document Number: "Docket ID:
Page Number: "56713"
"Notices"
Agency: "
SUMMARY: The
DATES: Written comments are requested on or before
ADDRESSES: You may submit comments, identified by Docket ID:
FOR FURTHER INFORMATION CONTACT:
SUPPLEMENTARY INFORMATION:
I. Public Participation Interested persons are invited to comment on this notice by submitting written data, views, or arguments using the method identified in the ADDRESSES section.
Instructions: All submissions must include the agency name and Docket ID for this notice. All comments received will be posted without change to http://www.regulations.gov and will include any personal information you provide. Therefore, submitting this information makes it public. You may wish to read the Privacy and Security notice, which can be viewed by clicking on the "Privacy and Security Notice" link on the homepage of www.regulations.gov. Commenters are encouraged to identify the number of the specific question or questions to which they are responding.
Docket: For access to the docket to read background documents or comments, go to www.regulations.gov.
II. Background
The NFIP is a program that makes flood insurance available in those States and communities that agree to adopt and enforce floodplain management ordinances to reduce future flood risk. The NFIP enables property owners in participating communities to purchase flood insurance to provide financial protection against flood losses. Joining the NFIP is an important step toward reducing a community's risk from flooding and making a faster, more sustained recovery should flooding occur. /1/ Participation in the NFIP is voluntary and is contingent on community compliance with NFIP floodplain management regulations.
FOOTNOTE 1 See generally 42 U.S.C. 4001 et seq., 44 CFR parts 59-80. END FOOTNOTE
FOOTNOTE 2 See generally The Community Status Book found at http://www.fema.gov/flood-insurance/work-with-nfip/community-status-book (last accessed
The NFIP minimum requirements apply to areas designated as Special Flood Hazard Areas (SFHAs) by
FOOTNOTE 3 See 44 CFR 64.3(a)(1). Zone A--area of special flood hazard without water surface elevations determined. END FOOTNOTE
FOOTNOTE 4 See 44 CFR 60.3(d)(3), which prohibits encroachments, including fill, new construction, substantial improvements, and other development within the adopted regulatory floodway unless it has been demonstrated through hydrologic and hydraulic analyses performed in accordance with standard engineering practice that the proposed encroachment would not result in any increase in flood levels within the community during the base flood discharge. END FOOTNOTE
FOOTNOTE 5 Structures built to NFIP standards experience 65 percent less damage than structures not built to these standards and have resulted in
In addition to protecting new buildings, the NFIP has substantial improvement and substantial damage requirements that ensure flood protection measures are integrated in structures built before a community adopted its first floodplain management requirements. "Substantial improvement" means any reconstruction, rehabilitation, addition, or other improvement of a structure, the cost of which equals or exceeds 50 percent of the market value of the structure before the "start of construction" of the improvement. /6/ "Substantial damage" means damage of any origin sustained by a structure whereby the cost of restoring the structure to its before-damaged condition would equal or exceed 50 percent of the market value of the structure before the damage occurred. /7/ When substantial improvement or substantial damage occurs, the community, which makes the determination, must ensure that the NFIP requirements, which the community has adopted, are applied to these structures so that they are protected from future flood damage.
FOOTNOTE 6 44 CFR 59.1. END FOOTNOTE
FOOTNOTE 7 Id. END FOOTNOTE
In
FOOTNOTE 8 See http://www.nrdc.org/sites/default/files/petition-fema-rulemaking-nfip-20210105.pdf (last accessed
FOOTNOTE 9 See FEMA's Flood Building Codes Resource Page at https://www.fema.gov/emergency-managers/risk-management/building-science/building-codes/flood (last accessed
FOOTNOTE 10 See 16 U.S.C.
FOOTNOTE 11 16 U.S.C. 1536. END FOOTNOTE
The NFIP floodplain regulations are designed to encourage the adoption of adequate State and local floodplain management measures for land development. /12/ This creates an opportunity for the NFIP not only to work towards its goal of reducing flood risk but simultaneously works toward the conservation of federally threatened and endangered (T&E) species and critical habitat. Conserving the natural and beneficial functions of the floodplain and reducing flood risk can work in tandem with the
FOOTNOTE 12 42 U.S.C. 4102(c). END FOOTNOTE
The agency is seeking input from the public on the floodplain management standards that communities should adopt to result in safer, stronger, and more resilient communities and also to promote protection of T&E species and their habitats. Specifically,
FOOTNOTE 13 See generally "National Flood Insurance Program: Evaluation Studies" found at http://www.fema.gov/flood-insurance/rules-legislation/2006-evaluation (last accessed
FOOTNOTE 14 Agencies may submit to the Services, an evaluation on the likely effects of an action, if T&E species or critical habitat are likely to be affected by Agency action. END FOOTNOTE
It is important to note that
FOOTNOTE 15 5 U.S.C.
II. Request for Input
A. Importance of Public Feedback
Because the impacts and effects of Federal regulations and policies tend to be widely dispersed in society, members of the public are likely to have useful information, data, and perspectives on the benefits and burdens of
B. Maximizing the Value of Public Feedback
This notice contains a list of questions, the answers to which will assist
Commenters should consider these principles as they answer and respond to the questions in this notice.
* Commenters should identify, with specificity, appropriate minimum floodplain management standards and/or measures for increased flood risk reduction.
* Commenters should identify, with specificity, appropriate measures the agency can take to promote the conservation of T&E species and their habitats.
* Commenters should provide specific data that document the costs, burdens, and benefits of existing requirements to the extent they are available. Commenters might also address how
* Particularly where comments relate to the costs or benefits of minimum floodplain management standards and protection of T&E species and their habitats, comments will be most useful when there are data available and communities have experience utilizing the minimum floodplain management standards and/or species/habitat protection to ascertain the actual impact.
The below non-exhaustive list of questions is meant to assist members of the public in the formulation of comments and is not intended to restrict the issues that commenters may address:
(1)
(2) The elevation of structures above expected base flood levels, called "freeboard," is an important precept of floodplain management. "Freeboard" is usually expressed in feet above a base flood elevation for purposes of floodplain management. NFIP communities must require new, "substantially improved," or "substantially damaged" structures in the SFHA to be elevated to the height of the one percent annual chance flood level, also referred to as the Base Flood Elevation or BFE. Some States and communities require newly constructed buildings to be built higher than the base flood elevation to further reduce the risk of flood damage with freeboard requirements set to a specific height to provide the additional margin of risk reduction above the BFE. The NFIP has strongly encouraged but not required higher elevation standards, such as those included in the I-Codes and ASCE 24. Should
(3)
FOOTNOTE 16 42 FR 26951 (
(4) Recurring flooding events provide evidence that areas adjacent to the SFHA experience significant flooding and unacceptable levels of disaster suffering, yet the NFIP minimum floodplain management standards do not extend to these locations. How can the NFIP take a more risk-informed approach to defining flood hazard? Is there a need for
FOOTNOTE 17 The National
(5) In the past 30 years, 1 of every
FOOTNOTE 18 As of
FOOTNOTE 19 See 42 U.S.C. 4121. END FOOTNOTE
(6)
(7) How could one or more of the following specific changes to the NFIP minimum floodplain management standards benefit T&E species and their habitats while furthering the goal of improving resilience to flooding? What would the potential impact be on the NFIP participating communities?:
(a) Limiting construction in any identified riparian buffer zone;
(b) Requiring compensatory storage to have no net increase in projected flooding levels for all development in the SFHA;
(c) Requiring a more restrictive regulatory floodway standard; /20/
FOOTNOTE 20 See 44 CFR 59.1 defining a regulatory floodway and 44 CFR 60.3(d)(3) for the current standard. END FOOTNOTE
(d) Requiring compensatory conservation credits/areas for all development in portions of the SFHA that provide natural and beneficial functions;
(e) Requiring low impact development standards and/or permeable surfaces that may benefit T&E species and habitat; and/or
(f) Prohibiting or limiting construction in any portion of the SFHA.
How should the suggested changes listed above be prioritized to best benefit T&E species while also furthering the goals of the NFIP? Are there additional changes that should be considered and if so, what are they and what is their prioritization in comparison to the changes listed?
(8) NFIP participating communities can also improve protection of T&E species and their critical habitats through their floodplain management activities. In what ways can NFIP participating communities demonstrate to
(9) Local floodplain managers are often tasked with enforcement of NFIP minimum floodplain management standards. In what ways can
(10) While the NFIP minimum floodplain management standards are broadly applicable nationwide and provide a sound basis from which communities can improve their floodplain management programs, there may be floodplain uses, occupancies, and flooding characteristics that call for more specific regulatory initiatives. Are there any NFIP minimum floodplain management standards that currently cause hardship, conflict, confusion or create an economic or financial burden? If so, what are they and how can they be modified to reduce the burdens while still meeting the objectives of mitigating flood loss and reducing risk? Some structures in a community may be exempted from the NFIP minimum floodplain management standards through a variance. Are there changes that can be made to variance requirements to help reduce the burdens while still meeting the objectives of mitigating flood loss and reducing risk? Are there specific types of development or uses that should be considered for exemption from NFIP minimum floodplain management standards or should different standards apply? If so, what are they, why should specific types of development or uses be considered for exemption, and what different standards should be applicable?
(11) There have been recent proposals regarding disclosure of flood risk, /21/ recommending development of an affirmative obligation on the part of sellers or lessors of residential properties to disclose information about flood risk to prospective buyers or lessees. These proposals would require States and communities to establish flood risk reporting requirements for sellers and lessors as a condition of participation in the NFIP. Should States and/or local governments be required to establish minimum flood risk reporting requirements for sellers and lessors as a condition for participation in the NFIP? Should there be an affirmative obligation on the part of sellers and/or lessors of residential properties to disclose information about flood risk to prospective buyers or lessees? If so, what is the most effective way to require this disclosure? Should the process be modeled on requirements for sellers to disclose details on environmental hazards, such as lead-based paint hazards? What details should be included in the disclosure, such as knowledge of past floods and/or flood damage, a requirement to maintain flood insurance, knowledge the property is located in a SFHA at the time of offering, and the cost of existing flood insurance?
FOOTNOTE 21 See H.R. 2874 "21st Century Flood Reform Act," 115th
(12)
FOOTNOTE 22 See Fourth National Climate Assessment, Chapter 3: Water found at http://nca2018.globalchange.gov/chapter/3/. Climate change means that flood events are on the rise. Climate change is increasing flood risk through (1) more "extreme" rainfall events," caused by a warmer atmosphere holding more water vapor and changes in regional precipitation patterns; and (2) sea-level rise. See
(13) The current NFIP minimum floodplain management standards can be found at 44 CFR part 60 subpart A--Requirements for Floodplain Management Regulations. As part of this Request for Information seeking input on new and even transformative reforms to the NFIP minimum floodplain management standards,
(14) Are there technological advances, building standards, or standards of practice that could help
(15)
(16) As FEMA undertakes an analysis of potential effects of the NFIP on T&E species, the agency must consider the NFIP's effect on floodplain development and the extent to which NFIP actions influence land development decisions. "Development" means any man-made change to improved or unimproved real estate, including but not limited to buildings or other structures; mining; dredging; filling; grading; paving; excavation, or drilling operations; or storage of equipment or materials. /23/ Is information available on the NFIP's influence on floodplain development? If so, provide or identify any data or materials identifying the NFIP's influence. How can
FOOTNOTE 23 44 CFR 59.1. END FOOTNOTE
(17)
(18) Hazard mitigation planning reduces loss of life and property by minimizing the impact of disasters, including floods. It begins with State, local, and Tribal governments identifying natural disaster risks and vulnerabilities that are common in the area and then developing long-term strategies for protecting people and property from similar events. Mitigation plans are key to breaking the cycle of disaster damage and reconstruction. How should
Administrator,
[FR Doc. 2021-22152 Filed 10-8-21;
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