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<br />(b) Adoption of the amendment must hot make the Metro Plan internally inconsistent. <br /> <br />The proposed changes to the Metro Plan are essentially of a "housekeeping" nature. They <br />essentially recognize the role of wastewater service provision within the urban growth <br />boundary by the addition or modification of applicable findings and add or modify policy <br />language to clarify the relationship between the Metro Plan and the PFSP in regard to <br />capital improvement plans and the commitment to comply with regulatory requirements. <br />The proposed changes, as presented, will not create internal inconsistencies within the <br />Metro Plan. <br /> <br />The proposed changes also amend the PFSP to more accurately reflect MWMC's planned <br />improvement projects for its wastewater treatment system and primary collection system, <br />to provide rough cost and timing estimates for those improvements, update narrative <br />information regarding necessary improvements to the wastewater treatment system and <br />primary collection system, and more clearly implement the plan modification standards <br />contained in OAR 660-011-0045(3). The proposed changes to the PFSP do not create any <br />inconsistencies within the PFSP nor do they create any inconsistencies between the PFSP <br />and the Metro Plan. <br /> <br />Exhibit 1 - 8 <br />