It is unclear if the IGA should contain provisions addressing goal compliance regarding future <br /> actions that may invoke Goal 11 questions, particularly since the IGA establishing the <br /> Commission restricts all land use and community growth decisions to the purview of the <br /> Governing Bodies. It is unclear if the IGA per se is a land use document or would become a . <br /> land use document if conditions related to goal compliance were included as provisions of the <br /> IGA. None of the existing MWMC IGAs are considered land use documents for the reasons <br /> listed here. <br /> Lane County Boundary Commission Requirements <br /> The final.local land use process involves the Lane County Local Government Boundary <br /> .Commission. The Boundary Commission has approval authority for changes, mergers, <br /> dissolutions, and creation of service districts; and annexations and extra-territorial extension of <br /> sewer if: a) the line is a "forced main" or, b) the line is a gravity line 8" or larger. This proposal <br /> could be accommodated without a change in the Metropolitan Wastewater Management District <br /> boundary (which is currently specif ed in the MWMC IGA as the UGB) provided Coburg is a <br /> customer and not a partner. However, since Coburg's Wastewater Facilities Plan specifies that <br /> the discharge to the MWMC system would be by way of a force main, the Boundary <br /> Commission has approval authority of the extension of this line. <br /> An extension of a sewer line outside of the city limits of Eugene or Springfield, but within that <br /> city's UGB, is defined as anextra-territorial extension if not accompanied by an annexation of <br /> the land over/under which the line is extended. An extension of the sewer line beyond the UGB <br /> is similarly categorized. The Boundary Commission may not approve an annexation proposal of <br /> any classification that does not comply with the policies of the applicable comprehensive plan <br /> (ORS 199). Without the necessary and appropriate changes to the Metro Plan, RCP, and Coburg <br /> 'Comprehensive Plan, the Boundary Commission could notapprove the sewer line extension.. <br /> State Agency Involvement <br /> All post-acknowledgment land use decisions are referred to the Department of Land <br /> Conservation and Development (DECD) for comment. The Department's authority to approve <br /> or deny an amendment is limited to the Periodic Review process. It does not appear that the <br /> statute considers this proposal to be an application requiring the Periodic Review process The <br /> Department would send a copy of the proposal to affected state agencies (DECD, DEQ, OEDD, <br /> .for example) for comment on program consistency issues. It is difficult to project the nature or <br /> content of these comments. <br /> <br /> -Time Line and Direct Costs for Processing Required Amendments and Auurovals <br /> Attempting to quantify time lines and costs associated with the various processes necessary to <br /> complete this proposal is uncharted territory. Although the history of the Metro Plan does <br /> include some extraordinary amendment proposals (Short Mountain sanitary sewer extension; <br /> Prison siting, etc.) none were ever adopted and none involved the variety of issues, participants <br /> or coordination demanded by this proposal. <br /> The time line for the land use decision (Metro Plan and PFSP only) would begin with the formal <br /> initiation process. One of the three governing bodies would be required to adopt a motion. or <br /> resolution initiating the. action. Assuming the initiating government has enough information to <br /> take this action, approximately a month would be necessary to accomplish this first step. <br /> (scheduling, report preparation, meeting action). The ideal time frames, and steps required by <br /> the Metro Plan, for processing the proposed amendments is outlined below. <br /> City Council page 449 Page 13 <br /> _ <br /> <br />