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2012 SWAAAE Monterey Conference: Land Use Planning Legal Updates. Presented By: Lori Ballance Gatzke Dillon & Ballance LLP. Content Introduction Chapter 1: ALUCs Chapter 2: ALUCPS Chapter 3: Building an ALUCP Chapter 4: Developing Compatibility Policies.
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2012 SWAAAE Monterey Conference: Land Use Planning Legal Updates Presented By: Lori Ballance Gatzke Dillon & Ballance LLP
Content Introduction Chapter 1: ALUCs Chapter 2: ALUCPS Chapter 3: Building an ALUCP Chapter 4: Developing Compatibility Policies Chapter 5: Responsibilities of Local Agencies Chapter 6: ALUC Review of Local Actions Appendices 2011 California Airport Land Use Planning Handbook
Notable Handbook Aspects • Caltrans made a conscientious effort, when updating the Handbook, to be more deliberate with the verbiage: • “Shall”: Statutory requirement to be followed • “May” Statutorily permitted, but not required • “Should” or “Could”: Best practice recommendation
Notable Handbook Aspects The Handbook provides: “guidance for meeting the baseline safety and compatibility requirements; however ALUCs may choose to be more restrictive than the State’s guidance when their local conditions warrant doing so.” (Page viii.)
Notable Handbook Aspects • ALUC Formation Choices • ALUC (PUC §21670(b)) • Self-Declared Exemption (PUC §21670(b)) • Designated Body (PUC §21670.1(a)) • Designated Agency (PUC §21670.1(c)) • Statutory Exceptions (i.e., Kern, Santa Cruz, Los Angeles, and San Diego counties) • Intercounty ALUCs (PUC §21670.4(c))
Notable Handbook Aspects • Airspace protection isn’t just about the Part 77 surfaces anymore! Rather, all of the following may need to be considered by ALUCs: • Wildlife Hazards • Sanitary Landfills and Sewer Systems • Stormwater Management Facilities • Wetlands • Agricultural Areas • Parks, Landscaping Golf Courses, Natural Resources, and Natural Areas • Visual, Electronic, and Thermal Hazards • Energy Projects
Notable Handbook Aspects Appendix J (Checklist for Commissioners) • When preparing ALUCPs, ALUCs “[m]ay” consider political, economic, [and] other non-compatibility-related ramifications of criteria and policies. However, ALUCs need not independently undertake cost-benefit analyses.” (Page J-2.) • When implementing ALUCPs, ALUCs cannot consider non-compatibility-related ramifications. (Page J-3.)
Adjust Generic Safety Zones Because Of: Runway Length Type of Aircraft Zone 1: Correspond to RPZ Multiple Runways Airport Area Topography Runways Used Predominantly in One Direction Instrument Approach Procedures Other Special Flight Procedures/Limitations Runway Use by Special-Purpose Aircraft Small Aircraft Using Long Runways Displaced Landing Thresholds Notable Handbook Aspects
Notable Handbook Aspects • Adjustment of generic safety zones may be more theoretical than actual … • Caltrans recently advised the San Diego County ALUC that the safety zones may not be modified for purposes of application to San Diego International Airport
Powell v. County of Humboldt • Petition/Complaint filed in January 2011 • Inverse condemnation allegations • County’s refusal to issue a permit until owners provide an easement is a taking • Government Code §66001 allegations • County cannot show that there is a “reasonable relationship” between the easement and the impact of the residence
Powell v. County of Humboldt • Property located near Arcata-Eureka Airport in Compatibility Zone C • Zone C encompasses properties underneath the outer boundary of the Common Traffic Pattern Zone • The compatibility policies require overflight easement dedication for residential uses in Zone C
Powell v. County of Humboldt • County filed a motion for summary judgment in January 2012 that will be heard by the Court in April 2012 • Failure to exhaust administrative remedies • Ripeness • Statute of limitations • Laches • Failure to name proper party • Improper remedy • No unconstitutional taking • No fee imposed
City of Grass Valley et al. v. Nevada County ALUC et al. • Petition filed in October 2011 • Challenges ALUCP adoption on two grounds: • Improper notice to impacted property owners • Handbook “directs” ALUCs to use same notice procedures applicable to general plans • Inadequate CEQA compliance – EIR (not ND) required
Precautions To Take While Nevada County Litigation Is Pending • Use ALUC’s webpage to convey relevant information • Identify status of planning efforts and contact person for additional information • Issue public notices/flyers regarding planning efforts, either via U.S. Mail or e-mail • Notify local land use jurisdictions of planning efforts, and ask those jurisdictions to notify their constituents of ALUC activity
Precautions To Take While Nevada County Litigation Is Pending • Publish notice of public hearings, stakeholder working group meetings, etc. in local newspaper(s) • Make draft ALUCPs available for review and comment concurrent with any public review required for CEQA documentation • Strictly and conservatively adhere to CEQA’s notification requirements