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Environmental Policy Board (EPB) 5. 2. <br />Meeting Date: 05/05/2014 <br />By: Chris Anderson, Community <br />Development <br />Information <br />Title: <br />Consider Ordinance # 14 -04 Amending City Code to Establish Minimum Standards for Alternative Energy Systems <br />Purpose /Background: <br />The City was recently approached by Connexus Energy about a potential solar project they are considering <br />implementing on their campus. In reviewing their project concept, it was noted that City Code is fairly silent <br />regarding solar energy systems, other than two basic definitions related to solar energy and solar access. Also, <br />within City Code, there is a provision that states uses that are neither specifically permitted or denied in any zoning <br />district shall be considered prohibited. As alternative /renewable energy technologies continue to improve, Staff <br />wanted to ensure that the Zoning Code itself was not a barrier to potential alternative energy projects and thus has <br />compiled a draft ordinance for consideration. Note that Wind Energy Conversion Systems (WECS) standards <br />already exist and this draft ordinance does not address them other than renumbering and revising /relocating the <br />purpose statement. <br />Observations /Alternatives: <br />In Reviewing the Comprehensive Plan, Chapter 5 (Land Use) Section D (Solar Access Protection) states that the <br />City should be encouraging the use of solar energy in future development projects as well as exploring <br />opportunities to increase the usage of solar energy systems in general. With these policy statements in mind, Staff <br />contemplated several standards that could be considered relating to alternative energy systems (solar and ground <br />source heat pump systems), including, among other things, whether they should be a permitted or conditional use, <br />their location on a property (front, side, and /or rear yard), setbacks, height, and visibility /screening. <br />As drafted, the proposed ordinance identifies both solar energy systems and ground source heat pump systems as a <br />permitted accessory use in any zoning district. These systems generally do not present the same concerns that had <br />been raised regarding WECS, such as safety and noise and therefore, allowing these systems as a permitted <br />accessory use seems more appropriate. <br />The proposed ordinance addresses three (3) primary standards including location of an alternative energy system, <br />setbacks, and height. The intent was to incorporate some flexibility into the draft ordinance, especially as it relates <br />to solar energy systems, as their functionality is reliant upon direct solar access. Thus, rather than restricting the <br />location of these systems to certain locations on a property (e.g. side /rear yard), the draft ordinance would allow <br />solar and ground source heat pump systems to be located in any yard, whether in a commercial or residential district. <br />Setbacks are based on the type of alternative energy system. Solar energy systems are broken into two categories, <br />ground mounted and building mounted systems. As drafted, building mounted systems shall comply with all <br />standard building setbacks for the applicable zoning district. Furthermore, any system that extends beyond the edge <br />of building must be explicitly engineered for such use. Ground mounted systems shall be setback from a property <br />line a distance that is equal to or greater than the height of the structure at its maximum designed tilt. <br />Height is also dependent on whether the system is building mounted or ground mounted. Building mounted systems <br />would need to comply with the maximum allowable building height for the applicable zoning district. Ground <br />mounted systems' height would be restricted by the distance to the nearest property line or the maximum allowable <br />building height for the respective zoning district, whichever is more restrictive. <br />