Loading...
HomeMy WebLinkAboutWSMU_MRSV_Ltr_19971105 State of North Carolina Department of Environment, Health and Natural Resources AT1C‘frA Division of Water Quality James B. Hunt, Jr., Governor — immummima Wayne McDevitt, Secretary p E H N Fl A. Preston Howard, Jr., P.E., Director November 5, 1997 Mr. N. Erskine Smith, Jr. Planning Director Town of Mooresville P. O. Box 878 Mooresville, NC 28115-0878 RE: Shoe Enterprises Major Variance Request,Town of Mooresville (Iredell County) Dear Mr. Smith, This letter is in response to the additional information submitted by Glenn Dunn of Poyner& Sprull and Dick Brolin of B.K. Barringer& Associates pertaining to the major variance request by Shoe Enterprises for their property located in the Town of Mooresville within the Lake Norman WS-IV watershed protected area. In order for the major variance request to proceed to the Environmental Management Commission (EMC), State rules require that the request be routed through the local Watershed Review Board(i.e.: the Mooresville Town Board) which shall prepare a preliminary record to be submitted to the Commission for review [15A NCAC .0104(r)]. With additional material being presented by the applicant, it is important that the local Watershed Review Board meet again to consider this new information and make findings of fact as required in the Administrative Code. After considering the discussion which took place at the September 10, 1997 Water Quality Committee (WQC)meeting and perusing the additional information submitted by Poyner& Sprull and B.K. Barringer on behalf of Shoe Enterprises, Division of Water Quality (DWQ) staff would ask that the following issues be evaluated by the Mooresville Town Board when considering the revised variance request. 1. DWQ staff received a letter from the Ford Motor Company suggesting that the Mooresville Motor Company needed 5 1/2 acres of usable site for a new facility. Is this figure a recommendation or a requirement? During the September meeting,the WQC appeared to be interested in data supporting the number of acres required (e.g., projected sales planning volume figures). If the landowner provided the full 100 foot buffers as required in the ordinance, 3.8 acres or 42 percent of the site could be covered by impervious surfaces. P.O. Box 29535, Raleigh, North Carolina 27626-0535 Telephone 919-733-5083 FAX 919-715-6048 An Equal Opportunity Affirmative Action Employer 50% recycled/ 10% post-consumer paper Mr. N. Erskine Smith, Jr. November 5, 1997 Page Two 2. The applicant has indicated that a 50 percent reduction in the required 100 foot buffer widths would enable the development of 5.8 acres or 64 percent of the site. What is the minimum buffer reduction necessary to obtain the 5 1/2 acres recommended by the Ford Motor Company? Would Shoe Enterprises and/or the Mooresville Motor Company be amenable to a redesign to meet this figure? 3. When did Shoe Enterprises purchase the property? Was Mr. Shoe a Moorsville Town Board member at the time of purchase? Was Mr. Shoe aware of the Town's local ordinance and the impervious cover limitations upon the property at the time of purchase? 4. DWQ staff is interested in findings by the Town of Mooresville pertaining to the issue of practical difficulty and unnecessary hardship to Shoe Enterprises when carrying out the strict letter of the local ordinance. In particular, please at least address the questions of whether, due to full compliance with the provisions of the ordinance, the property owner can secure no reasonable return from or make no reasonable use of his property; and that the hardship is the result of the applicant's own actions. 5. On behalf of Shoe Enterprises, B.K. Barringer & Associates has submitted information indicating that oversizing the wet detention pond by 33 percent to capture increased runoff from the site serves to mitigate the effects of the reduced buffer widths. DWQ staff is interested in specifics regarding the detention pond design. Is there a difference in the physical size of the pond when it is "oversized?" DWQ staff has not been presented with any plans or drawings showing the configuration for the wet detention pond. How many more square feet of pond are required to control the increased runoff? Is the pond required to be deeper to handle the increased volume? What is the effect on the percent of total suspended solids (%TSS) removed? 6. DWQ staff is interested in the additional stomwater managment measures propsed to be taken by the property owner in order to mitigate the effects of increased runoff from built-upon areas. Will the roadways and parking lots use curn and gutter street drainange systems? Will the development use sand filters, filter trenches, and/or grassed swales to filter water-borne pollutants from the site? 6. DWQ staff is uncertain that they have the most recent version of the Town of Mooresville's water supply watershed protection ordinance. Please submit to DWQ, from the most recent version(s) of the local Town of Mooresville ordinance(s),copies of all sections which pertain to variances. According to staff files,the variance information would be found in Section 14.11 and Article 10 of the local zoning ordinance. Mr. N. Erskine Smith, Jr. November 5, 1997 Page Three 7. Please submit verification that a description of the variance request was sent to all local governments having jursidiction within the Falls Lake WS-IV watershed and to any major consumer of water whose point of intake lies within the same watershed. Please submit any comments received from these notified local governments pertaining to this variance request. Finally, the Town made no finding of fact showing that public safety and welfare have been assured and substantial justice done. The applicant has offered to mitigate some of the potential impacts of the increased impervious surface area on the site by oversizing the stormwater pond. However, the proposed development and additional impervious surface area would significantly reduce the vegetation and interrupt the natural drainage pattern of the site. The lack of substantial proof of a hardship, other than an economic one to the property owner, increases the potential of this variance setting a precedent- the cumulative result of which could cause substantial harm to the water quality in Lake Norman. If you have any questions regarding DWQ's recommendations or if you need further assistance, please contact Brent McDonald of my staff at(919) 733-5083, extension 508. Thank you in advance for your cooperation and support of the Water Supply Watershed Protection Program. Sincerely, AP l'i ' vA--c -11-0.,t,f.4-Fy,, (1 IA II ?- A. Preston Howard, Jr., P.E. 41- .r-„ ` S t-T - cc: Brent . McDonald,DWQ--WSWP V Bradley Bennatilli YQ --Stormwater Rex Gleason,DWQ -- Jim Dunn,DCA--MRO Kathy Cooper, N.C. Attorney General's Office H. Glenn Dunn, Poyner & Sprull, L.L.P. Dick Brolin, B.K. Barringer& Associates DWQ--Central Files