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An Ocean Blueprint for the 21st Century - California Ocean ...

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The federal governmentshould eliminatesubsidies andincentives <strong>for</strong> developmentand redevelopmentin coastalhigh hazard, floodand erosion areas.This is a matter ofprudent fiscal andemergency managementas much asenvironmentalprotection.—Jane Stahl, DeputyCommissioner of EnvironmentalProtection,State of Connecticut,testimony to <strong>the</strong>Commission, July 2002financial resources to move or elevate <strong>the</strong> home. 10 Absent this designation, many of <strong>the</strong>seproperties have been rebuilt in place, leading to repeated claims. Although only 2 percentof NFIP covered properties have received repetitive-loss payments, <strong>the</strong>y account <strong>for</strong> 40percent of overall NFIP payments, many at cumulative totals exceeding <strong>the</strong> property’svalue. Although a national problem, between 1978 and 1995, Louisiana and Texasaccounted <strong>for</strong> $1.1 billion, or 40 percent of <strong>the</strong> $2.75 billion in total repetitive-loss claimspaid by <strong>the</strong> NFIP. 11Approximately 90 percent of repetitive-loss payments are <strong>for</strong> buildings that predate NFIPmaps. 12 This demonstrates <strong>the</strong> effectiveness and success of NFIP building standards <strong>for</strong> newconstruction in flood-prone areas, but also underscores <strong>the</strong> program’s lack of authority <strong>for</strong>reducing <strong>the</strong> vulnerability of older buildings. Many property owners underestimate <strong>the</strong>ir risk,resist investments in structural improvements that do not directly translate into higher homeprices, and <strong>the</strong>n rely on federal disaster assistance as a fallback when floods occur. For someproperties, <strong>the</strong> most acceptable and economical solution <strong>for</strong> all concerned will be voluntarybuyouts at prices that allow property owners to relocate out of harm’s way.Eliminating Incentives <strong>for</strong> Development in Floodplains and Eroding AreasThe NFIP was created both as a more desirable alternative to federal disaster relief in <strong>the</strong>wake of flooding and as a tool to guide development away from flood prone areas throughstate and local floodplain management. However, of <strong>the</strong> 6.6 million buildings located in <strong>the</strong>100-year floodplains of participating communities, more than a third were built after <strong>the</strong>NFIP maps were created and floodplain management requirements imposed. 13 As one of<strong>the</strong> federal government’s principal tools <strong>for</strong> influencing development in high-hazard areas,<strong>the</strong> NFIP’s risk assessment, mitigation, and insurance components should be revamped tobetter achieve <strong>the</strong> original goal of discouraging communities from building in harm’s way.Recommendation 10–3The National <strong>Ocean</strong> Council should recommend changes in <strong>the</strong> National Flood InsuranceProgram (NFIP) to reduce incentives <strong>for</strong> development in high-hazard areas.Specifically, NFIP changes should:• establish clear disincentives to building or rebuilding in coastal high-hazard zones by requiringproperty owners at risk of erosion to pay actuarially sound rates <strong>for</strong> insurance.• en<strong>for</strong>ce measures that reduce vulnerability to natural hazards, including assistance inretrofitting older structures and buyout programs <strong>for</strong> susceptible structures with repetitive-losshistories.• create en<strong>for</strong>ceable mechanisms to direct development away from undeveloped floodplainsand erosion zones.Hazards Mitigation PlanningHazards mitigation planning—<strong>the</strong> process of assessing potential hazards and evaluatingand identifying actions to reduce or eliminate vulnerabilities—has been required of states<strong>for</strong> nearly two decades as a condition of receiving disaster relief and o<strong>the</strong>r FEMA funding.However, <strong>the</strong> quality of those plans, and <strong>the</strong> degree to which <strong>the</strong>y are based on a soundprocess with adequate stakeholder involvement, vary widely. Major disaster losses in <strong>the</strong>1990s led FEMA to increase its attention to hazards mitigation planning, establishing aunit dedicated to that purpose in 1998.Congress also recognized that deficiencies in mitigation planning prevented <strong>the</strong> mosteffective use of disaster assistance funds. Communities recovering from disasters receivelittle guidance during <strong>the</strong> rebuilding process to improve <strong>the</strong>ir resilience to future disasters.In <strong>the</strong> Disaster Mitigation Act, passed in 2000, Congress directed FEMA to impose morestringent mitigation planning requirements on states. States that fail to meet FEMA’s newcriteria can be denied disaster assistance and some o<strong>the</strong>r types of funding, while states168 A N O CEAN B LUEPRINT FOR THE 21ST C ENTURY

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