March
9, 2007
Charlotte
County Board of County Commissioners
Charlotte County Administration Center
18500 Murdock Circle
Port Charlotte, FL 33948
RE: Charlotte
County Transfer of Density Units (TDU) Ordinance
Commissioners:
The Conservancy
of Southwest Florida and 1000 Friends of Florida have long advocated
for responsible growth management in Southwest Florida, and the implementation
of effective tools to accomplish that mission. Our organizations appreciate
the continued efforts on the part of the Charlotte County Commission
to design and implement a functional program that protects vital natural
resources, while directing growth to the most compatible areas.
Both the Conservancy and 1000 Friends were active in supporting the
County in considering, and were pleased when the Commission enacted,
the Transfer of Density Units (TDU) Ordinance in 2004. The TDU Ordinance
is viewed by our organizations as a logical and necessary response to
Objective 1.4 of the Charlotte County Comprehensive Plan, which calls
for the reduction of vacant platted lots in Charlotte County by 1% per
year. We also view the TDU program as a major tool in addressing the
need to direct growth to areas of the County where they can be sustained
and away from areas where there are significant natural resource and
wildlife habitat values to be preserved.
We are concerned about a disturbing trend that appears to be forming,
wherein piecemeal waivers to the requirements of the TDU ordinance are
being requested without the submittal of sufficient scientific and land
use planning data and analysis necessary to justify such waivers. Success
in achieving Objective 1.4 will, in part, be achieved through adherence
to the TDU requirements. The granting of waivers should only occur in
rare circumstances where it can be clearly demonstrated that a waiver
would accomplish a specific benefit to the community that could not
have otherwise occurred.
As an example, the Commission approved a waiver to some of the TDU requirements
for Babcock Ranch. Such a waiver was justifiable because this property
represented a unique circumstance that permitted the County to conserve
a significant area for the protection of listed species.
One of
the principal purposes originally stated for the adoption of the TDU
Ordinance was:
"
to
direct future growth in a logical, economical, and
efficient manner away from those areas of the County less suited for
such growth, and toward those areas of the County better suited to provide
the public services and facilities necessary for such growth, and for
the protection of environmentally sensitive, historic and archaeological
resources and bona fide agricultural uses
"
Babcock Ranch should be viewed by the Commission and others as having
set a high standard for any future waiver considerations.
The TDU ordinance provides for the County Administrator to rule on requests
for waivers, and provides adequate opportunity for appeal to the Board
of County Commissioners. Therefore, due process is provided for the
redress of complaints against the application of the ordinance.
The Conservancy and 1000 Friends of Florida join the Commission in its
concern for the efficacy of the TDU program, and stand ready to support
the County in their efforts to maintain the integrity of the program.
We applaud you for the action taken to put on hold, further TDU waiver
applications, until the Commission can study the potential implications
of approving these requests, for the continued success of achieving
the Goals, Objectives and Policies of the Charlotte County Comprehensive
Plan.
We also hope that your TDU Workshop will serve as a catalyst for discussion
of the TDU program, which may lead to a review of the program to determine
if improvement can be made. Therefore, we would like to provide some
background on key elements that have been component of successful TDU
programs in other Counties (see attached Fact
Sheet). As Charlotte County begins the re-write of their Comprehensive
Plan, these concepts could be useful for incorporation into modifications
of the TDU program.
We appreciate this opportunity to share with you our comments and concerns.
We look forward to working with the Commission and staff to integrate
new planning tools for growth management, improving current processes
and developing responses to the many challenges that lie ahead.
Respectfully,
Andrew
McElwaine, President & CEO
Conservancy of Southwest Florida
Charles
Pattison, President
1,000 Friends of Florida