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Green Infrastructure
Case Studies:
Municipal Policies for Managing Stormwater with Green Infrastructure
C A S E S T U D I E S
EPA Ofce of Wetlands, Oceans and Watersheds
EPA-841-F-10-004 | August 2010 | http://www.epa.gov
i
Table of Contents
Executive Summary .............................................................................................................................................................1
Background ..................................................................................................................................................................1
Case Studies .................................................................................................................................................................4
1. Common Drivers and Regulatory Framework .............................................................................................................7
CSO and MS4 Requirements ......................................................................................................................................7
Asset Management ......................................................................................................................................................9
Flood Control ...............................................................................................................................................................9
Larger Sustainability Goals .......................................................................................................................................10
2. Menu of Local Green Infrastructure Policies ..............................................................................................................13
Stormwater Regulations .............................................................................................................................................13
Review and Revise Local Codes ................................................................................................................................17
Demonstration and Pilot Projects ...............................................................................................................................18
Capital and Transportation Projects ...........................................................................................................................19
Education and Outreach .............................................................................................................................................20
Stormwater Fees .........................................................................................................................................................21
Stormwater Fee Discounts ........................................................................................................................................22
Other Incentives .........................................................................................................................................................23
3. Policy Implementation: Barriers, Lessons Learned and Realities of Each Policy ...................................................25
Overview ....................................................................................................................................................................25
First Step Policies .......................................................................................................................................................26
Second Step Policies ..................................................................................................................................................27
Third Step Policies .....................................................................................................................................................29
4. Conclusion .......................................................................................................................................................................31
Integrating Policies.....................................................................................................................................................31
Setting Priorities .........................................................................................................................................................31
Long-Term Planning and Investment .........................................................................................................................32
Case Study: Alachua County, Florida .............................................................................................................................35
Case Study: Chicago, Illinois ............................................................................................................................................37
Case Study: Emeryville, California ..................................................................................................................................41
Case Study: Lenexa, Kansas .............................................................................................................................................43
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
ii
Case Study: Olympia, Washington ...................................................................................................................................47
Case Study: Philadelphia, Pennsylvania ..........................................................................................................................49
Case Study: Portland, Oregon ..........................................................................................................................................53
Case Study: San Jose, California ......................................................................................................................................57
Case Study: Santa Monica, California .............................................................................................................................59
Case Study: Seattle, Washington ......................................................................................................................................61
Case Study: Stafford County, Virginia.............................................................................................................................65
Case Study: Wilsonville, Oregon ......................................................................................................................................67
Acknowledgements .............................................................................................................................................................69
1
Executive Summary
Executive Summary
This report presents the common trends in how 12 local
governments developed and implemented stormwater policies
to support green infrastructure. The local policies examined
in this paper include interagency cooperation, enforcement
and management issues and integration with state and federal
regulations. While a strong motivation for these policies and
programs is innovation in stormwater management, many
communities are moving past the era of single objective
spending and investing in runoff reduction and stormwater
management strategies that have multiple benefts. Green
infrastructure approaches have a range of benefts for the
social, environmental and economic conditions of a commu-
nity (see Table 1). Not only do these case studies include
success stories for building a comprehensive green infrastruc-
ture program, but they also provide insight into the barriers
and failures these communities experienced while trying to
create a stormwater management system that includes more
green infrastructure approaches.
The following chapters provide descriptions of the most
common and infuential green infrastructure policies, a brief
background on how each approach works and examples from
relevant case studies about results, barriers and processes for
implementation. Many of the policies work in tandem and ft
within a context of several other green infrastructure poli-
cies and programs. The greenest cities in terms of stormwater
management use a wide range of policies and a number of
approaches that focus on both public and private properties.
This report originally focused on local stormwater regulations
alone, but further investigation revealed that the real presence
of green infrastructure in a community was due to many other
programs and policies that can be adopted by a wide range
of communities.
BACKGROUND
Many communities in the United States, ranging in size,
population and geographic location, are looking for ways
to assure that the quality of their rivers, streams, lakes and
estuaries is protected from the impacts of development and
urbanization. This case study report describes a dozen cities
and counties that are using green infrastructure approaches
to reduce imperviousness and preserve natural open space
throughout a watershed and at the neighborhood scale, as
well as adding green infrastructure practices at the site level.
Not all of the communities in this study are using green
infrastructure at all three scales, but they are mixing and
matching a common set of policies and programs to protect
water resources and add value to their communities at the
same time.
Traditional development practices cover large areas of the
ground with impervious surfaces such as roads, driveways
and buildings. Once such development occurs, rainwater
cannot infltrate into the ground, but rather runs offsite at
levels that are much higher than would naturally occur. The
collective force of such rainwater scours streams, erodes
stream banks and thereby causes large quantities of sediment
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
2
and other entrained pollutants to enter waterbodies each time
it rains.
In addition to the problems caused by stormwater and
nonpoint source runoff, many older cities (including many
of the largest cities in the United States), have combined
sewage and stormwater pipes which periodically and in some
Table 1: Green Infrastructure Benets by Type
Benet Type
Environmental
Increase carbon sequestration
Improve air quality
Additional recreational space
Efcient land use
Improve human health
Flood protection
Drinking water source protection
Replenish groundwater
Improve watershed health
Protect or restore wildlife habitat
Reduce sewer overow events
Restore impaired waters
Meet regulatory requirements for
receiving waters
Economic
Reduce hard infrastructure con-
struction costs
Maintain aging infrastructure
Increase land values
Encourage economic development
Reduce energy consumption
and costs
Increase life cycle cost savings
Social
Establish urban greenways
Provide pedestrian and
bicycle access
Create attractive streetscapes and
rooftops that enhance livability and
urban green space
Educate the public about their role
in stormwater management
Urban heat island mitigation
cases frequently overfow due to precipitation events. In the
late 20
th
century, most cities that attempted to reduce sewer
overfows did so by separating combined sewers, expanding
treatment capacity or storage within the sewer system, or by
replacing broken or decaying pipes. However, these practices
can be enormously expensive and take decades to implement.
Moreover, piped stormwater and combined sewer overfows
(CSOs) may also, in some cases, have the adverse effects of
upsetting the hydrological balance by moving water out of the
watershed, thus bypassing local streams and ground water.
Many of these events also have adverse impacts and costs on
source water for municipal drinking water utilities.
Green infrastructure is a comprehensive approach to water
quality protection defned by a range of natural and built
systems that can occur at the regional, community and site
scales. Linkages between sites and between practices within
one site ensure that stormwater is slowed, infltrated where
possible and managed with consideration for natural hydro-
logic processes. Comprehensive stormwater management with
green infrastructure must consider:
How to protect and preserve existing natural resources,
Where to direct development in the community, and
How to develop on individual sites.
At the larger regional or watershed scale, green infrastructure
is the interconnected network of preserved or restored natural
lands and waters that provide essential environmental func-
tions. Large-scale green infrastructure may include habitat
corridors and water resource protection. At the community
and neighborhood scale, green infrastructure incorporates
planning and design approaches such as compact, mixed-use
development, parking reduction strategies and urban forestry
that reduces impervious surfaces and creates walkable,
attractive communities. At the site scale, green infrastructure
mimics natural systems by absorbing stormwater back into the
ground (infltration), using trees and other natural vegetation
to convert it to water vapor (evapotranspiration) and using
rain barrels or cisterns to capture and reuse stormwater. These
natural processes manage stormwater runoff in a way that
maintains or restores the sites natural hydrology. Site-level
green infrastructure is also referred to as low-impact devel-
opment or LID, and can include rain gardens, porous pave-
ments, green roofs, infltration planters, trees and tree boxes
3
Executive Summary
and rainwater harvesting for non-potable uses such as toilet
fushing and landscape irrigation. For more information on
specifc green infrastructure practices and how they function,
visit http://www.epa.gov/greeninfrastructure.
These processes represent a new approach to stormwater
management that is not only sustainable and environmentally
friendly, but cost-effective as well. Municipalities are real-
izing that green infrastructure can be a solution to the many
and increasing water-related challenges facing municipali-
ties, including food control, combined sewer overfows,
Clean Water Act requirements and basic asset management
of publicly owned treatment works. Communities need new
solutions and strategies to ensure that they can continue to
grow while maintaining and improving their water resources.
This report is meant to serve as a policy guide for municipali-
ties that understand the value of green infrastructure and hope
to create local policies and programs to allow, require and
encourage green infrastructure where appropriate. Although
this report originally focused on municipalities with innova-
tive stormwater regulations, it quickly expanded to examine
the range of policy types that result in green infrastructure
throughout a community (see Figure 1). The paper includes
three main chapters that are intended to provide the most
valuable lessons learned from the 12 case studies about
how to implement a local green infrastructure program. The
frst chapter, Common Drivers and Regulatory Framework,
explains what motivates the case study communities to set
up local green infrastructure policies and programs. The
second chapter presents a Menu of Local Green Infrastructure
Policies. This menu describes the nine policy types common
to most or all of the municipalities in the case study, including
examples about how the policies have been implemented.
The next chapter, Policy Implementation, provides guid-
ance on how the policies can complement one another, how
to overcome barriers and how to adapt different policies to
local needs and priorities. Finally, 12 two-page case studies
Figure 1: Communities across the United States from (clockwise from top left) Olympia, Philadelphia, Seattle and Lenexa, are using a range of policies to
add new green infrastructure.
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
4
provide specifc information about each municipality and
the green infrastructure program as it was developed in the
local context.
CASE STUDIES
The 12 cases analyzed in this study represent a broad cross-
section of the country in terms of hydrologic regime, popula-
tion and demographics, government structure and geographic
and political climate. But there are common trends in how
local governments developed and implemented new storm-
water policies, including interagency cooperation, enforce-
ment and management issues and overlap with state and
federal regulations. While a strong motivation for these poli-
cies and programs is innovation in stormwater management,
many communities are moving past the era of single objective
spending and investing in strategies that have multiple bene-
fts. Green infrastructure approaches have a range of benefts
for the social, environmental and economic conditions of a
community (see Table 1). These cases include success stories
for building a comprehensive green infrastructure program,
but they also provide insight into the barriers and failures
experienced while trying to create a stormwater management
system that includes more green infrastructure approaches.
The most common trend in successful case studies is the pres-
ence of many different policies and programs. Communities
such as Chicago, Illinois, Alachua County in Florida,
Philadelphia, Pennsylvania, and Lenexa, Kansas, not only
passed a new stormwater ordinance for new development;
they also devised new funding systems for capital projects,
provided incentives for redevelopment and retroft projects
and developed public education and outreach programs. Many
of the successes came within the context of larger green
plans and other comprehensive plans that supported or were
supported by green infrastructure policies. In addition, water-
shed planning for larger jurisdictions and sewershed plans for
urban communities helped decision makers prioritize, monitor
and validate public investments for green infrastructure.
A total of eight common policies and programs appeared
throughout the selected cases and are presented above as
a menu of policy options that other jurisdictions should
consider when looking for ways to add more green infrastruc-
ture in their own communities. Because these policies were
implemented in diverse situations and communities, they are
applicable for a range of local contexts. Not every community
will be able to use all eight policy approaches, but most can
choose some combination of the policies in the menu based
on their existing programs and level of expertise.
Table 2 lists the 12 communities and which of the common
policies they used. The policies are organized into two catego-
ries: public sector policies and private sector policies. The
12 Green Infrastructure
Case Studies
Alachua County, Florida
Philadelphia, Pennsylvania
Portland, Oregon
Seattle, Washington
San Jose, California
Santa Monica, California
Stafford County, Virginia
Wilsonville, Oregon
Olympia, Washington
Chicago, Illinois
Emeryville, California
Lenexa, Kansas
Common Policies Used in 12 Green
Infrastructure Cases:
Stormwater Regulation
Review and Revise Local Codes
Demonstration and Pilot Projects
Capital and Transportation Projects
Education and Outreach
Stormwater Fees
Stormwater Fee Discounts
Other Incentives
5
Executive Summary
public sector policies and programs can be set up internally
by government agencies. Private sector policies are those that
apply to private development and private property owners,
including commercial and residential properties.
The following chapters include descriptions of the most
common and infuential green infrastructure policies, a brief
background on how each approach works and examples from
relevant cases about results, barriers and processes for imple-
mentation. No single policy or program will be a panacea for
the challenge of how to integrate green infrastructure into the
local landscape. Many of the policies work in tandem and ft
within a context of several other complementary policies and
programs. The greenest cities in terms of stormwater manage-
ment use a wide range of policies and a number of approaches
that focus on both public and private sectors.
Table 2: Case Studies and Common Policy Approaches
City
Public Private
Demonstration
projects
Street
retrots
Capital
projects
Local code
review
Education &
outreach
Stormwater
regulation
Stormwater
fee
Fee-based
incentives
Other
incentives
Alachua County, FL X X X
Philadelphia, PA X X X X X X X X
Portland, OR X X X X X X X X X
Seattle, WA X X X X X X X X X
San Jose, CA X X X X
Santa Monica, CA X X X X X X X
Stafford County, VA X X X
Wilsonville, OR X X X X X
Olympia, WA X X X X X X
Chicago, IL X X X X X X X
Emeryville, CA X X X X X
Lenexa, KS X X X X X X
Total 11 10 8 10 7 12 7 3 4
7
1Common Drivers and Regulatory Framework
1
Common Drivers
and Regulatory Framework
Green infrastructure policies can achieve multiple municipal
goals at the same time as meeting Federal Clean Water
Act requirements, making them useful and effcient policy
options for local decision makers. The communities in these
case studies are not motivated to build green infrastructure
programs by Federal regulations alone. Although they may
identify overlaps with Clean Water Act requirements, these
local governments are making investments in green infra-
structure because of many other community, economic and
environmental benefts.
Local Agencies Can Use Green
Infrastructure to Achieve Goals:
Planning
Transportation
Economic Development
Housing
Parks and Recreation
Water
Health and Human Services
Public Works
Green infrastructure is associated with a variety of environ-
mental, economic and human health benefts, many of which
go hand-in-hand. Green infrastructure benefts are included in
Table 1 of the Introduction. Most municipalities in this case
study report provide examples of how green infrastructure can
meet overlapping goals and achieve widespread political and
public support that translates into more sustainable programs
and policies. This chapter outlines the multiple benefts of
green infrastructure and explains the ways that communities
are using them as motivation for their local green infrastruc-
ture policies and programs.
CSO and MS4 Requirements
Federal Clean Water Act requirements, such as the Combined
Sewer Overfow (CSO) Control Policy and National Pollutant
Discharge Elimination System (NPDES) permit program,
must ultimately be implemented at the local level. Many
municipalities see major inconsistencies between EPA guid-
ance for using green infrastructure to manage wet weather
fows and enforcement of requirements that call for more
conventional practices. Cities argue that EPA is promoting
innovative solutions without changing the standards and
measures for complying with water quality standards.
Furthermore, local governments fnd it diffcult to conf-
dently reallocate funds for green infrastructure projects
without better guidance and more confdence that the regu-
latory standards will eventually support their investments.
Investments in publicly owned treatment works are largely
compliance driven, which provides little freedom for local
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
8
policy makers to implement watershed-based or decentralized
green infrastructure solutions that may not yet have the data
necessary to demonstrate performance and receive regulatory
credit (both because of the amount of time needed for these
practices to show long-term performance, as well as limita-
tions in common data collection methods). Through the Green
Infrastructure Action Strategy, EPA and its partners seek to
address research gaps, develop protocols to quantify benefts
and collect more empirical data. Ideally, this effort will
provide more regulatory predictability and support for explicit
inclusion of green infrastructure into permits, enforcement
orders and long-term control plans (LTCPs).
1

Older cities are looking for solutions to their CSO problems
that are affordable and meet the requirements of EPAs CSO
Control Policy. A few cities, such as Philadelphia, have
found effective means for meeting these compliance needs
and altering LTCPs to include green infrastructure.
2
EPAs
Offce of Enforcement and Compliance Assurance (OECA) is
currently working on guidance for implementing green infra-
structure as part of a LTCP.
3

NPDES regulations require development and implementation
of a municipal separate storm sewer system (MS4) program
to address post-construction runoff from newly developed and
redeveloped areas. Some cities, such as Lenexa, Kansas,
4
and
San Jose, California,
5
are incorporating green infrastructure
into local stormwater codes as part of NPDES requirements
(see Figure 2). Updated state permits are starting to more
directly address the links between imperviousness, runoff and
water quality, from the larger land use scales down to specifc
site designs. EPA is now developing guidance for state permit
writers that will expand the requirements for using green
infrastructure to meet MS4 permit requirements.
6
As state
permits incorporate more explicit language about using green
infrastructure, more municipalities will start to adopt local
programs knowing they can receive regulatory credit towards
NPDES permit requirements.
EPA recognizes that increased coordination among National
Program offces, Regional EPA offces and OECA would
be benefcial and help avoid inconsistent policies, permits,
enforcement orders and LTCPs. Although EPA recognizes the
inconsistencies between innovative local policies and national
Clean Water Act requirements, the current state of the regula-
tory environment may continue, at least in the short term, to
make it diffcult for cities to count their investments toward
green infrastructure as meeting Federal stormwater and CSO
requirements. However, EPA recently announced plans to
initiate national rulemaking to establish a program to reduce
stormwater discharges from new development and redevelop-
ment and make other regulatory improvements to strengthen
its stormwater program.
7
The municipalities in this case study
1
See EPAs Green Infrastructure Web site for Regulatory Integration guidance
and examples of LTCPs and NPDES permit language for states and municipalities:
http://cfpub.epa.gov/npdes/greeninfrastructure/regulators.cfm
2
Philadelphia Water Departments CSO Long Term Control Plan Update: http://
www.phillywatersheds.org/what_were_doing/documents_and_data/cso_long_term_
control_plan
3
One of the potential issues that may arise in the use of green infrastructure in
treatment of wastewater ows is the development of performance expectations and
determination of compliance. Work is ongoing on tools to quantify performance of
different types of controls. The Ofce of Water and EPA New England work refer-
enced above may be of use.

In wet weather enforcement actions, a growing number of Supplemental Environ-
mental Projects (SEPs) have involved the use of green infrastructure techniques to
mitigate environmental damage. To date, green infrastructure SEPs have been used
in settlements with the following municipalities:
The Board of Water and Sewer Commissioners of the City of Mobile, Alabama
The Board of County Commissioners of Hamilton, Ohio and the City of
Cincinnati
The District of Columbia Water and Sewer Authority and the District of Columbia
The Washington Suburban Sanitary Commission, Maryland
Sanitation District No.1 of Northern Kentucky
Lexington-Fayette Urban County Government, Kentucky
4
Lenexa, Kansass Rain to Recreation policies: http://www.raintorecreation.org/
policies.html
5
San Jose, Californias urban runoff regulations: http://www.sanjoseca.gov/
planning/stormwater/how_regulated.asp
6
http://www.epa.gov/npdes/pubs/gi_memo_enforce.pdf
7
More information on Proposed National Rulemaking to Strengthen the Stormwater
Program: http://cfpub.epa.gov/npdes/stormwater/rulemaking.cfm
Figure 2: Lake Lenexa in Kansas is part of 240 acres purchased by the
City of Lenexa to protect open space and natural resources, serve as a
public park and educational area, and provide large-scale green infra-
structure for NPDES permit compliance.
9
1Common Drivers and Regulatory Framework
report have found opportunities to combine multiple program
objectives, but many have made separate allocations of staff
time and funding to move forward green infrastructure strate-
gies without regulatory support or credit.
Asset Management
City and county governments have limited fnancial resources
to allocate to the many competing demands under local
control. Municipalities are responsible for implementing and
enforcing expensive Clean Water Act requirements, while
also trying to pay for a large number of other programs, both
environmental and non-environmental. EPA estimated in the
2004 Clean Watersheds Needs Survey that nationwide capital
investments for controlling stormwater and wastewater pollu-
tion over a 20-year period will be $202.5 billion, including
$54.8 billion for combined sewer overfow corrections and $9
billion for stormwater management. With decreased funding
from the Federal government to pay for operations and main-
tenance of existing public stormwater systems as well as costs
associated with implementing LTCPs, local governments and
citizens must identify and select the most cost-effective solu-
tions to meet regulatory requirements.
In light of these predicted costs for stormwater, wastewater
and combined sewer systems, using green infrastructure as
a form of asset management is a major driver behind the
shift towards establishing a hybrid system of gray, piped
infrastructure and green, vegetated infrastructure. By using
green infrastructure to divert fow from sewer systems,
gray infrastructure costs can be reduced, i.e. operations and
maintenance costs can be decreased and future systems can
be smaller.
Cities such as Philadelphia are passing green infrastructure
policies as a means for better managing existing infrastructure
assets and avoiding future operations and maintenance costs.
The Philadelphia Water Department estimates that its new
stormwater standard, which requires properties to retain the
frst inch on site, has reduced CSO inputs by a quarter billion
gallons, thereby saving the City $170 million. These savings
are derived from the fact that one square mile of impervious
cover has been redeveloped under Philadelphias updated
stormwater regulations, and the cost of storing that same
volume of stormwater in a CSO tank or tunnel comes to $170
million in capital, not including operations and maintenance
costs. After two years of effectively enforced stormwater
regulations, the City now estimates that two square miles
are using green infrastructure, saving about $340 million
in capital.
Lenexa, Kansas, compared three alternative stormwater
management approaches and found that on-site detention
with green infrastructure costs about 25 percent less than the
old approach of retroftting and reactive solutions.
8
Portland,
Oregon, uses infltration practices to keep millions of gallons
of stormwater out of the Big Pipe it is constructing. Not
only does this reduce current costs for conveyance and treat-
ment, but it will help ensure that the Big Pipe will be able to
handle increased inputs as the City develops over time. All
three communities consider green infrastructure to be a smart
investment of public funds to complement and extend the life
of gray infrastructure projects as well. Many communities are
starting to employ green infrastructure solutions as a more
effective and cost effcient solution for meeting the multiple
demands on publicly owned treatment works and stormwater
management systems.
Flood Control
Costs and concerns associated with more frequent food
events have driven many communities to pass green infra-
structure legislation as a way to mitigate future fooding
and better manage runoff from existing development.
8
Lenexas cost-savings: http://www.ci.lenexa.ks.us/Stormwater/lessexpensive.html
Figure 3: Euclid Park in Santa Monica, California, includes a depressed
area with storage underneath, doubling as a public amenity and storm-
water structure.
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
10
Communities such as Lenexa, Kansas, and Stafford County,
Virginia, were hard hit by major foods in 1998 and again
in 2004. Both use green infrastructure approaches, such as
rain gardens, street swales and other retention methods to
provide additional food protection during peak events. Both
communities had public support for these newer natural
systems because of the inability of traditional systems to
provide adequate food protection. Larger and older commu-
nities, including Chicago and Philadelphia, assume cost
savings associated with green infrastructure for food control
and prevention. Chicagos Green Alley Program was started
in large part as a response to homeowner complaints about
fooding in alleys and adjacent basements.
Municipalities of all sizes are concerned about fooding
issues related to human safety, property damage and major
public costs, especially in light of recent fooding in the
Midwest and Gulf Coast regions. Flood damage in the United
States averages over $6 billion annually, not including
Hurricanes Katrina, Rita and Wilma.
9
These costs can be
mitigated through the use of watershed and neighborhood
scale green infrastructure planning to protect stream buffers
and natural lands adjacent to water bodies that are known
to food during large storm events. Some localities, such
as Charlotte-Mecklenburg County in North Carolina and
Portland, Oregon, have established land acquisition programs
to purchase and protect land in foodplains to provide more
predictable food control.
10
The Milwaukee Metropolitan
Sewer Districts Greenseams program protects existing open
space and develops it as green infrastructure with natural
food storage.
11
The Milwaukee Conservation Plan reports
potential cost savings of this green infrastructure approach as
compared with conventional food control alternatives.
12
More
and more local governments are anticipating future food risks
and establishing interconnected systems of functional land-
scapes to protect foodplains and prevent food damage.
Larger Sustainability Goals
Although Federal and State regulations are part of the
impetus driving municipal green infrastructure programs,
many of the communities surveyed have larger sustainability
plans and efforts that are supported by and provide support
to green infrastructure policies. San Joses Green Vision,
13

Philadelphias Sustainability Initiatives
14
or Mayor Daleys
goal to make Chicago the most environmentally friendly city
in the world are all examples of efforts that transcend compli-
ance of the Clean Water Act. Green infrastructure policies can
be used to achieve both water-related goals and a host of other
community, economic and environmental benefts.
Municipalities with the most well-established green infra-
structure programs have identifed synergies in mission
statements across agencies, from departments of transporta-
tion and public works to environmental agencies. Planning
departments can use green infrastructure to promote more
effcient land use and change local codes to ensure that
projects have both environmental and economic benefts.
Economic development agencies can use green infra-
structure to improve neighborhoods and increase property
values. In shrinking cities with population losses, such as
9
Association of State Floodplain Managers white paper on No Adverse Impact:
http://www.oods.org/NoAdverseImpact/NAI_White_Paper.pdf
10
Charlotte-Mecklenburg Floodplain Buyout Program: http://charmeck.org/
stormwater/StormWaterProfessionals/Pages/FloodplainAcquisitionProgram.aspx;
Portlands Johnson Creek Land Acquisition Partnership: http://www.portlandonline.
com/Bes/index.cfm?a=214366&c=33212
11
Milwaukees Greenseams program: http://v3.mmsd.com/Greenseams.aspx
12
Milwaukees Three Watershed Conservation Plan: http://www.epa.gov/nps/
natlstormwater03/26MOLeary.pdf
13
San Joses Green Vision: http://www.sanjoseca.gov/mayor/goals/environment/
GreenVision/GreenVision.asp
14
Philadelphias Sustainability Initiatives: http://www.phila.gov/green/
Figure 4: The Buffalo Bayou Promenade in Houston, Texas, retrotted a
formerly impervious area and restored this major drainage way as green
infrastructure. The Bayou now has improved oodwater conveyance, in
addition to providing other community and environmental benets. Photo
courtesy of Tom Fox, http://www.asla.org/2009awards/104.html.
11
1Common Drivers and Regulatory Framework
Philadelphia
15
and Buffalo,
16
vacant properties can be used
for green infrastructure projects, either as permanent func-
tional landscapes or interim land uses to encourage economic
development. Local transportation departments can use
green infrastructure in street and transportation right-of-way
improvements. Typical practices include bump-outs, streets
trees for improving pedestrian environments, sidewalk
planters and even narrowing street widths.
17
Parks and recre-
ation departments can also get involved in supporting green
infrastructure, especially at the larger scale, by connecting
greenways and corridors for habitat improvement and natural
resource protection.
18

The addition of green infrastructure as a basic community
amenity is a strong driver as well. Several of the case studies
in this report, including Philadelphia, Emeryville, Lenexa and
Santa Monica, explicitly list quality of life improvements as
a major priority of their local green infrastructure policies,
while other cities see them as ancillary benefts. If commu-
nities can identify and ensure designs that provide multiple
overlapping benefts, green infrastructure policies can be a
solution to the increasing challenges facing cities, counties
and metropolitan regions.
From Buffalos Right Sizing Program:
Given shrinking populations, Buffalos
own land bank will likely contain a specifc
element addressing green infrastructure,
whereby a large percentage of vacant prop-
erties will be transformed into open space,
trails, community gardens, and parks. A
green infrastructure initiative could cre-
ate value in the habitable properties that
remain, and attract investors and residents
back to these neighborhoods devastated
by decay.
15
Green Plan Philadelphia: http://www.greenplanphiladelphia.com/
16
Buffalos Right Sizing, Green Infrastructure and Neighborhood Reinvestment
Plans (pages 14-15)
17
See Portlands Green Streets Program Cross-Bureau Team Report for an example
on how to effectively identify agency overlaps: https://www.sustainableportland.org/
shared/cfm/image.cfm?id=153974
18
How Cities Use Parks for Green Infrastructure, By Dr. Mark A. Benedict
and Edward T. McMahon, American Planning Association City Parks Forum
Brieng Paper, November 2003. http://www.greeninfrastructure.net/sites/
greeninfrastructure.net/les/greeninfrastructure.pdf
13
2Menu of Local Green Infrastructure Policies
2
Menu of Local
Green Infrastructure Policies
This chapter contains descriptions of the major policy
approaches that are common to the majority of municipali-
ties in this case study, including examples of how the policies
have been applied. The next chapter contains guidance on
how the policies should be implemented and adapted to ft
local needs.
Stormwater Regulations
New stormwater regulations, whether for new projects or
redevelopments, are the single common denominator for all
12 case studies. Each municipality requires new and rede-
velopment projects to use green infrastructure, if possible,
to manage stormwater runoff before leaving the site. EPAs
NPDES permit requirements are often the primary driver for
these local stormwater codes. However, specifc local goals
are refected in the variable types of requirements for on-site
management. As seen in Table 3, many of the communities,
such as Olympia, Washington, and Lenexa, Kansas, require
developers to manage a specifc volume of stormwater created
by impervious surfaces. At the same time, other municipali-
ties such as Alachua County, Florida, and Chicago, Illinois,
require minimization of site disturbances and overall reduc-
tion of impervious surfaces.
Although the case study communities show that innovation
in local stormwater codes can lead to better water quality
outcomes, stormwater regulations cannot address a commu-
nitys water quality problems alone. Stormwater regulations
generally only impact properties seeking new permits, which
does not account for most land use types or for properties
Figure 5: All developers in Emeryville, California, must comply
with the Citys Stormwater Guidelines for Green, Dense
Redevelopment, which requires green infrastructure, such as
this stacked parking lot, throughout a projects planning and
operation.
Figure 6: Santa Monica, Californias stormwater code
focuses on protection of beach resources and allows for
treatment and release of runoff.
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
14
grandfathered in under older and less environmentally protec-
tive requirements (although some cities do choose to leverage
political will in favor of regulating existing properties).
Philadelphia predicts that only 20 percent of its lands will be
managed through land-based controls in the form of storm-
water management regulations, and that 20 percent is affected
only after the new regulations have been in place for 20 years
(see Figure 7). Vacant properties, public lands, streets and
waterfront areas will all need to be addressed through other
policy approaches.
Stormwater regulations alone cannot address larger land use
patterns and development practices. Stafford County, Virginia,
has a stringent new stormwater code requiring infltration and
fltration practices but lacks larger land use planning poli-
cies to direct growth and encourage higher-density develop-
ments.
19
A large percentage of county land is being converted
into parking lots and other impervious surfaces. Although
95 percent of new commercial sites in Stafford County are
now managing stormwater on site through bioinfltration,
the overall rate of land conversion to impervious surfaces is
very high.
Figure 8: Watershed scale green infrastructure plan for Lenexa, Kansas.
18,000
Stormwater
Service Charges
and Incentives
Stormwater
Regulations
T
o
t
a
l

C
S
O

V
o
l
u
m
e

(
M
G
/
y
r
)
Percent of Impervious Area served by Land Based Controls
Baseline 10% 20% 30% 50% 60% 40% 70% 80% 90% 100%
16,000
14,000
12,000
10,000
8,000
6,000
4,000
2,000
0
Public Parcels
Vacant Lands
Green Streets
Alley Program
Waterfront Planning
and Development
Special Service
Districts
Figure 7: Philadelphia found that stormwater regulations alone would only
reach 20 percent of the impervious surfaces in the City. The City uses a
range of policy types, including public land projects and incentives.
To fully protect water resources, communities need to
employ a wide range of land use strategies, based on local
factors, including building a range of development densi-
ties, incorporating adequate open space, preserving critical
ecological and buffer areas and minimizing land disturbance.
Lenexa, Kansas, has a comprehensive plan for protecting and
creating large-scale green
infrastructure within the
Citys jurisdiction. The City
directs development away
from sensitive natural lands
and then purchases land in
priority areas to provide
food mitigation, stream
protection, water quality
improvements and recre-
ational amenities.
20
The map
in Figure 8 shows the many
functional green spaces that
also serve as public parks
and trails for recreation and
education. Municipalities
must also ensure that local land use policies support higher
densities, compact development and a mix of uses, which
are methods to better protect water qualityespecially at the
watershed level. Consuming less land means creating less
impervious cover in the watershed.
19
Stafford Countys stormwater management program: http://co.stafford.va.us/
Departments/Public_Works/Environmental/Index.shtml
20
Lenexas Rain to Recreation Program policies: http://www.raintorecreation.org/
policies.html
15
2Menu of Local Green Infrastructure Policies
Table 3: Local Stormwater Requirements
Municipality Type of Stormwater Requirement
Post-Development to Meet
Pre-Development Conditions
Volume-based Performance Standard Process-based or Menu Approach
Alachua County, FL X
21
Philadelphia, PA X
22
Portland, OR X
23
Seattle, WA X X
24
X
San Jose, CA X
25
Santa Monica, CA X
26
Stafford County, VA X
27
Wilsonville, OR X
28
Olympia, WA X
29
Chicago, IL X
30
Emeryville, CA X
31
Lenexa, KS X
32
21
Alachua County, FL Stormwater Ordinance:
http://growth-management.alachua..us/
22
Philadelphia Stormwater Regulation: http://www.phillyriverinfo.org/Programs/
SubprogramMain.aspx?Id=Regulations
23
Portland, OR: http://www.portlandonline.com/shared/cfm/image.cfm?id=93075
& http://www.portlandonline.com/bes/index.cfm?c=35122
24
Seattle, WA: http://www.seattle.gov/dclu/codes/dr/DR2009-17.pdf
25
San Jose, CA: http://www.sanjoseca.gov/planning/stormwater/Policy_6-29_
Memo_Revisions.pdf
26
Santa Monica, CA: http://www.smgov.net/uploadedFiles/Departments/
OSE/Categories/Urban_Runoff/UR_Worksheet.pdf & http://www.smgov.net/
uploadedFiles/Departments/OSE/Categories/Urban_Runoff/UR_Brochure.pdf
27
Stafford County, VA: http://www.municode.com/resources/gateway.
asp?sid=46&pid=11500 (see Chapter 21.5-2)
28
Wilsonville, OR: http://www.ci.wilsonville.or.us/Index.aspx?page=91 (see Public
Works Standard, Section 3) & http://ci.wilsonville.or.us/Index.aspx?page=662
29
Olympia, WA: http://olympiawa.gov/city-utilities/storm-and-surface-water/
policies-and-regulations.aspx
30
Chicago, IL: http://egov.cityofchicago.org/webportal/COCWebPortal/
COC_EDITORIAL/StormwaterManagementOrdinance1206.pdf
31
Emeryville, CA: http://www.ci.emeryville.ca.us/index.aspx?nid=335
32
Lenexa, KS: http://www.ci.lenexa.ks.us/LenexaCode/viewXRef.asp?Index=2927
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
16
Table 4: Local Stormwater Requirements
Municipality Stormwater Regulation
Portland, OR Mandatory hierarchy for on-site inltration or other practices to the maximum extent practicable (MEP).
Seattle, WA
All projects > 2000SF new and replaced impervious surfaces are required to compost amend all disturbed
pervious areas, and implement green stormwater infrastructure practices to the maximum extent feasible
(MEF). For areas with >10,000 SF impervious ow control performance based thresholds must also be
demonstrated; For majority of Seattle creeks drainage basins site must achieve predeveloped pasture condi-
tion for peak and duration up to the 2-year ood frequency; For CSO and capacity constrained systems
peak control target for 2 year and 25 year ood frequency events must be demonstrated. Additional require-
ments to protect wetlands to maintain hydroperiod.
Olympia, WA
Control 91 percent of runoff volume inltrated through on-site controls for quality; post-development ow to
meet predevelopment rates for quantity.
Santa Monica, CA
0.75-inch reduction of urban runoff from all impermeable surfaces through inltration or treatment
and release.
San Jose, CA
Control either 85 percent of 24-hour storm runoff event (using volume treatment control measures (TCMs))
or 10 percent of the 50-year peak ow rate (using ow TCMs), but must use landscape-based treatment
and trees to MEP.
Emeryville, CA
Site design and source control measures, maximize pervious surfaces, and treatment using landscap-
ing. Post-construction quality must meet pre-construction standards, to MEP. Reporting on the amount of
impervious surface created/replaced.
Lenexa, KS
Manage 1.37 inches of water quality volume using LID treatment train approach; pay into system for quan-
tity (used to fund regional projects). Natural channels preserved to MEP.
Chicago, IL Manage 0.5 inch runoff from all impervious surfaces or reduce imperviousness by 15 percent.
Alachua County, FL
Limit the proportion of the area of stormwater facilities to total site area through reduction of impervious
surfaces via vertical construction and use of alternative parking surfaces (to MEP); Stormwater management
facilities must use site contours and minimize disturbance to existing natural features (to MEF). Anti-degra-
dation requirements for water quality.
Philadelphia, PA
Four areas of focus and associated requirements: channel protection (control one year storm), ood protec-
tion (post-development conditions must be equal to pre-development), water quality (inltrate/manage rst
1 inch from all directly connected impervious surfaces), and site design requirements to reduce impervious-
ness. Redevelopments may be exempt from channel and ood protection.
Stafford County, VA LID practices must be used to MEP to meet quality and quantity requirements.
Wilsonville, OR
Provide on-site detention and water quality facilities; post-development runoff rates must not exceed pre-
development rates; Revising standards now based on pilot neighborhood project using green infrastructure.
17
2Menu of Local Green Infrastructure Policies
Review and Revise Local Codes
Seven of the municipalities studied conducted a thorough
review of associated development codes and ordinances to
assess consistency with a new or revised stormwater regula-
tion. These cities and counties are fnding that a review of
other local ordinances is necessary to remove barriers and
ensure coordination across all development codes for better
water quality outcomes. Local policies, such as landscaping
and parking requirements or street design criteria, should
complement stormwater standards and make it easier for
developers to simultaneously meet multiple requirements. At
the same time, if other local policies are written to support
water quality goals, they can independently reduce and better
manage stormwater runoff.
A comprehensive review process will require interagency
coordination and cooperation to both identify and address
the potential inconsistencies between different policies and
regulatory mechanisms. EPAs Water Quality Scorecard was
developed to help local governments identify opportunities to
remove barriers, and revise and create codes, ordinances and
incentives for improved water quality protection. It guides
municipal staff through a review of relevant local codes and
ordinances, across multiple municipal departments and at
the three scales within the jurisdiction of a local government
(municipality, neighborhood and site),
33
to ensure that these
codes work together to protect water quality goals. The Water
Quality Scorecard can be found at http://www.epa.gov/
smartgrowth/water_scorecard.htm.
A process of review and coordination, not just for codes, but
for interaction among the various departments involved in
development permitting, should be done early if not before
the new stormwater regulations go into effect. The building
and development community may be more willing and able
to implement a new stormwater requirement if the process
for understanding and installing new practices is transparent,
straightforward and in concert with the many other require-
ments they must meet.
A thorough policy audit can help municipal staff, stormwater
managers, planners and other stakeholders better understand
where the opportunities and barriers may exist in a municipal-
itys land development regulations, building codes, permit-
ting processes and more. Local regulations that should be
reviewed may be controlled and enforced by a number of
different local government agencies, including parks and
recreation, public works, planning, environmental protection,
utilities and transportation.
Chicagos Department of Environment initiated a Green
Urban Design process to look at discontinuity of ordinances
across eight city agencies and then developed a framework
plan to align all development ordinances.
34
One point of
discontinuity was with a landscape ordinance requiring
prescriptive placement of vegetation rather than prioritizing
practices by ecological function, which contradicted the new
performance-based stormwater requirements.
Philadelphia has established a Developer Services
Committee to streamline its development review process.
35

This partnership effort resulted in a simplifed process for
permit review, inspection and approval. The success of the
new stormwater regulations is contingent upon the fact that
the Philadelphia Water Department requires projects to get
Philadelphia Developer Services
Committee
Fire Department
City Planning Commission
Philadelphia Industrial Development
Corporation
Department of Licenses & Inspection
Department of Public Property
Managing Directors Offce
Streets Department
Water Department
PECO Energy
Philadelphia Gas Works
33
While the watershed scale is the best scale at which to look regionally at water
quality protection strategies, it can be difcult to align policies, incentives and regu-
lations across political boundaries. So for purposes of implementation, the largest
scale the scorecard uses is the municipality.
34
Chicago Codes for Green Urban Design: http://www.cityofchicago.org/content/
dam/city/depts/zlup/Sustainable_Development/Publications/Green_Urban_Design/
GUD_booklet.pdf
35
Philadelphia Developer Services Committee: http://www.phila.gov/commerce/
comm/lvl_2/mbat_dev.htm
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
18
concept approval for water, sewer and stormwater before
zoning permits are considered.
Several cities have found that successful integration of green
infrastructure systems into new development projects required
early site design considerations. Placing stormwater plan
approval earlier in the development review process helps to
ensure better green infrastructure outcomes in built projects.
Demonstration and Pilot Projects
Demonstration and pilot projects are a common way for
communities to introduce green infrastructure into a range of
programs and local agency policies. Small projects in loca-
tions with fewer physical and political complications provide
important testing grounds for the partnerships so often needed
for successful development of these programs. Furthermore,
pilot projects allow relevant agencies and staff to fgure out
the logistics of implementing green infrastructure practices,
from design, construction and maintenance to basic permitting
protocols. A period of trial and error allows for the develop-
ment and refnement of a better policy or program.
Most cities pilot small-scale projects to work through poten-
tial problems with programs intended for citywide applica-
tion, such as a green streets initiative or standards for capital
projects. For instance, Seattle Public Utilities found that the
success of its Natural Drainage Systems program was due to
several pilot projects that were carefully designed, installed
and then monitored for performance before being applied
throughout the City.
36

Although costs for green infrastructure projects initially may
be higher than traditional projects, often costs are lowered
after a pilot phase.
37
In its frst pilot year, Chicagos Green
Alley Program cost 150-200 percent more than conventional
alley retrofts, but now costs have lowered to nearly match
conventional material installation.
Olympia, Washington, provides an example of a pilot phase
that went poorly and resulted in a revised program. The City
set very strict development standards on the healthiest stream
in the jurisdiction, Green Cove Basin, but because they
did not entirely agree with or understand the requirements,
developers found loopholes in the regulation that resulted in
poor neighborhood design and dissatisfaction on the part of
homeowners. As a result, Olympia revised its requirements
and turned more attention towards street design and on public
rights-of-way to improve runoff conditions in this salmon-
bearing watershed.
38

Wilsonville, Oregon, conducted a similar large-scale pilot
project with the Villebois neighborhood, a 500-acre project
that is seen as a testing ground for a suite of new stormwater
regulations and larger development requirements for this
fast-growing town (see Figure 9).
39
City offcials also intend
to apply lessons learned in this private sector project to future
capital projects.
Whether demonstrations are meant to test new programs or to
serve as tangible evidence of the feasibility and functionality
of green infrastructure practices, they are almost always an
Figure 9: Villebois is a large neighborhood development in Wilsonville,
Oregon, that incorporates decentralized stormwater management features.
36
For a list of Seattle Public Utilities Natural Drainage System projects: http://www.
seattle.gov/util/About_SPU/Drainage_&_Sewer_System/GreenStormwaterInfra-
structure/NaturalDrainageProjects/index.htm
37
For more information on pilot projects and costs, see Center for Neighbor-
hood Technologys paper Managing Urban Stormwater with Green Infrastructure:
Case Studies of Five U.S. Local Governments: http://www.cnt.org/repository/
GreenInfrastructureReportCivicFederation%2010-07.pdf
38
Olympia development standards for Green Cove Basin: http://www.ci.olympia.
wa.us/en/city-utilities/storm-and-surface-water/streams-and-shorelines/streams-
and-shorelines-green-cove-creek-watershed.aspx; More information on Green Cove
as a priority watershed: http://www.ci.olympia.wa.us/en/city-utilities/storm-and-
surface-water/streams-and-shorelines/streams-and-shorelines-green-cove-creek-
watershed.aspx
39
Villebois Village Master Plan: http://www.ci.wilsonville.or.us/Index.
aspx?page=112
19
2Menu of Local Green Infrastructure Policies
important frst step in a communitys effort to establish wide-
spread policies to support green infrastructure approaches.
Capital and Transportation Projects
Taken in total, surface transportation systems, including road-
ways, railways, sidewalks and alleyways, can be the greatest
contributor to total imperviousness in a given community.
40

Local departments of transportation dedicate an equally large
portion of funds to repairs, maintenance and improvements
to these systems. Eight of the 12 municipalities in this study
have realized the value of leveraging these huge funding
sources by incorporating green infrastructure practices into
standard transportation projects. Green street practices include
bioswales, rain gardens and infltration practices, street trees
and porous paving materials, many of which add value to
the public space as well as providing better environmental
performance.
41
Green streets handle stormwater with vege-
tated facilities, provide water quality benefts, create attractive
streetscapes, improve safety through traffc calming, provide
pedestrian and bicycle access and serve as multi-purpose
urban greenways.
Municipalities also spend considerable amounts of money
planning and building major capital projects, from bridge-
building to road retrofts to development and redevelopment
of public buildings, parks and other facilities. Several of
the case study communities recognized that if even a small
percentage of the total funding that goes towards these
projects is allocated for green infrastructure designs, large
impervious areas can be retroftted in old projects and entirely
avoided in new ones. For example, the City of Seattle estab-
lished the Sustainable Infrastructure Initiative to evaluate how
it spends its more than $650 million annually on capital proj-
ects. This interdepartmental initiative will consider sustain-
able alternatives, such as green infrastructure, to typical
retrofts, repairs and new projects. Santa Monica, California,
a smaller city, also incorporates green infrastructure into all
capital projects, which is much simpler since one staff person
can review plans, conduct inspections and ensure that all
major projects include on-site stormwater mitigation features.
Portlands Green Streets program has a formal process to
overlay multi-bureau project plans and scheduled capital
improvement projects to identify how public and private
projects can achieve multiple community and environmental
benefts through green infrastructure.
42
Chicagos Green
Alley Program (see Figure 10) is an alternative solution
to the method of retroftting over 3,500 acres of alleyways
throughout the City.
43
Low traffc volume and the lack of
existing infrastructure in Chicagos alleys provided an oppor-
tunity to replace existing asphalt and concrete with pervious
pavement to allow for infltration instead of retroftting with
conventional piped infrastructure.
The increased investment necessary to include green infra-
structure in these large undertakings is typically a very
small percentage of the total project costs. Costs and ease
of designing or redesigning streets depends on whether the
street is already built, what maintenance or improvements
are already planned and whether retrofts are being made to
streets, sidewalks or other types of infrastructure or utilities
Figure 10: Chicagos Green Alley program retrots existing alleys to
include permeable pavers as seen in this residential alley. Photo courtesy
of David Leopold.
40
Clean Water Services Healthy Streams Plan, 2006 documents 54.5 percent of
imperviousness due to roads, parking lots and driveways: http://www.cleanwa-
terservices.org/Content/Documents/Healthy%20Streams%20Plan/Healthy%20
Streams%20Plan.pdf; United State Geological Survey report, Quantifying the
Components of Impervious Surfaces, shows that in the study watersheds, roads
and parking lots alone account for 52.9 percent of impervious surfaces; For more on
this topic, see Tom Schuelers The Importance of Imperviousness, 1994: http://
yosemite.epa.gov/R10/WATER.NSF/840a5de5d0a8d1418825650f00715a27/1
59859e0c556f1c988256b7f007525b9/$FILE/The%20Importance%20of%20
Imperviousness.pdf
41
Find more resources on EPAs Green Streets and Highways page: http://cfpub.
epa.gov/npdes/greeninfrastructure/technology.cfm#greenstreets
42
Portlands Green Streets report, resolution and policy: http://www.portlandonline.
com/BES/index.cfm?c=44407
43
Chicagos Green Alley program and handbook: http://egov.cityofchicago.org/city/
webportal/portalContentItemAction.do?topChannelName=HomePage&contentOID
=536946345&Failed_Reason=Invalid+timestamp,+engine+has+been+restarted
&contenTypeName=COC_EDITORIAL&com.broadvision.session.new=Yes&Failed_
Page=%2fwebportal%2fportalContentItemAction.do
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
20
beneath the surface. The use of green infrastructure elements
can also decrease overall project costs.
44
For example, green
infrastructure designs can be used to reduce the concrete and
asphalt needed to pave and curb streets.
Other capital projects include major public investments to
acquire lands deemed ecologically sensitive or important for
water quality protection. Some communities purchase prop-
erty to protect it from new development, while others will
construct large green infrastructure features to mitigate foods
and manage stormwater fows from nearby impervious areas.
Lenexa, Kansass Rain to Recreation
45
program spends tens
of millions of public dollars to purchase land in priority areas,
which prevents unwanted development while providing long-
term community assets. Likewise, Alachua County Forever
46

is a program in Florida where the County acquires, protects
and manages environmentally signifcant lands and water
resources. These programs consider large-scale green infra-
structure systems that work to improve and protect overall
watershed function and minimize imperviousness throughout
a community. Capital and transportation projects can have
signifcant impacts at the watershed and neighborhood scales.
Education and Outreach
Education and outreach programs take advantage of built
green infrastructure projects to communicate to the general
public the value of stormwater as a resource rather than
remove it as quickly as possible from the site or city. Using
signage, brochures and other outreach materials, municipal
agencies can build public understanding of green infrastruc-
ture approaches. Education and outreach takes many forms,
such as Portlands stormwater cycling tour
47
or Chicagos
how-to guide for disconnecting a downspout or installing
a rain barrel.
48
Public campaigns, events and publications
encourage citizens and property owners to take action to
reduce runoff and prevent contributions to stormwater pollu-
tion. Olympia, Washingtons Gardening with a Sound Mind
10,000 Rain Gardens in metro-
politan Kansas City is a successful
education and outreach program
that engages citizens to manage
stormwater on site.
10,000 Rain Gardens is not a government
program.
It is a rallying cry, calling upon the creativ-
ity of citizens, corporations, educators, and
non-proft organizations to join with gov-
ernment to voluntarily reduce the amount
of stormwater runoff that pollutes our
waterways. In the past two years, several
hundred rain gardens as well as rain barrels
and bioswales have been installed and are
working to reduce runoff.
These personal efforts combined with
commercial-sized green solutions yield
a powerful cumulative effect in reducing
fooding, erosion and pollutants in our
rivers and streams. Working together, we
will improve water quality and make a
difference now and for the future.
10,000 Rain Gardens website: http://
www.rainkc.com/index.cfm/fuseaction/
home.showpage/pageID/9/index.htm
For more information, go to
http://www.rainkc.com
44
Reducing Stormwater Costs through Low Impact Development (LID) Strategies
and Practices: http://www.epa.gov/owow/nps/lid/costs07/
45
Lenexa, Kansass Rain to Recreation program: http://www.raintorecreation.org/
index.html
46
Alachua Countys Alachua County Forever program: http://www.alachuacounty.
us/Depts/EPD/LandConservation/Pages/LandConservation.aspx
47
Portland Stormwater Cycling Tour: http://www.portlandonline.com/Bes/index.
cfm?a=53568&c=34604
48
Chicagos How-to Guide for Managing Stormwater at Home: http://egov.cityofchi-
cago.org/webportal/COCWebPortal/COC_ATTACH/ManagingStormwater_Home.pdf
21
2Menu of Local Green Infrastructure Policies
urges homeowners to protect the Puget Sound by planting
native species and avoiding lawn fertilizers and pesticides.
49

Education programs can be directed toward individual
behavior by highlighting how runoff carries pollutants to
downstream surface waters.
Other public outreach programs validate public investments
and capital projects, whether through educational signage
or larger campaigns. Lenexas Rain to Recreation program
includes a free speakers bureau for schools, community
groups, residents, businesses and other professionals.
50

Not only is this type of public education good governance,
it helps institutionalize green infrastructure programs for
the long-term.
The simplest method of education and outreach is adding
signage to any known green infrastructure project, whether
on public or private land (see Figure 11). By giving visible
markers for these sites along with information about what
they are and how they work to protect water quality and
improve local environments, people begin to recognize the
larger system and cumulative impact of a decentralized
system of many practices.
Stormwater Fees
Stormwater fees are used to generate a dedicated revenue
stream to address the increasing investment most commu-
nities will have to make to control both combined sewer
overfows and stormwater runoff. Some municipalities need
additional funding for new infrastructure required to meet
the demands of growth and development or changing regula-
tory requirements, while older communities often need extra
revenue to repair and maintain existing storm sewer systems.
Traditionally, the costs for stormwater management were
paid for with general funds collected through taxes, such as a
property tax, or through a propertys water bill. Stormwater
user fees are now being used to direct the costs for stormwater
management towards those properties that actually create the
most runoff entering the public system.
Unlike familiar water and wastewater utility fees, utility fees
for stormwater management are a relatively new concept.
Their use arose from the recognition that managing storm-
water imparts a fscal impact on a municipality to manage
infrastructure and provide environmental protection. An
increasingly common method for calculating a stormwater
user fee is an impervious surface based billing system.
Because runoff from impervious areas is the primary contrib-
utor to the storm sewer system, this system is seen as a more
equitable determination for fees than some early methods of
calculating charges, such as a meter-based fee, which charges
by water consumption. For example, a parking lot may not
use potable water on site but discharges signifcantly more
Figure 11: Examples of educational signage added
to public and private property green infrastructure
approaches. Images from Philadelphia (top), Portland
(middle), and Chicago (bottom).
49
Olympias Gardening with a Sound Mind: http://www.ci.olympia.wa.us/en/
city-utilities/storm-and-surface-water/education-and-action/education-and-action-
gardening-with-a-sound-mind.aspx
50
Lenexas Rain to Recreation Speakers Bureau: http://www.raintorecreation.org/
contact_us.html
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
22
runoff than a residence or business of a similar size. The
stormwater fee should refect the contribution of runoff from a
particular site.
Many communities will calculate user fees for commercial,
multi-family residential and industrial properties based on
total lot size and percentage of imperviousness.
51
These rates
are measured through a Geographic Information System (GIS)
and orthographic fyover image data that accurately accounts
for the stormwater runoff inputs of these large customer
parcels. For ease of collection, the stormwater fee is often
added to water, sewer or utility bills. Some cities charge the
user fee as a monthly or annual tax. In San Jose, California,
for instance, the Santa Clara County Tax Collectors Offce
collects the Storm Sewer Service Charge through the annual
property tax roll.
Stormwater Fee Discounts
Stormwater fee discounts and incentives give property
owners the option of making site changes that can decrease
the amount of their on-site stormwater fee. Discounts often
encourage retrofts of existing properties and implementation
of green infrastructure in new developments. In Philadelphia,
Portland and Seattle, fee discounts and credits provide an
opportunity for property owners to reduce the amount they
pay by decreasing impervious surfaces or by using green
infrastructure techniques that reduce the amount of storm-
water runoff. In turn, public infrastructure is less burdened
when private property owners manage their own stormwater
runoff on site. Discounts also support the fee-for-service
system because property owners can reduce the amount they
pay by reducing the service received.
Before setting the credit standard or discount, whether for use
of specifc green infrastructure practices or for a reduction in
impervious surfaces, municipalities should set appropriate
management goals and determine how to credit private prop-
erty owners for whatever action is being given an incentive.
Table 5 outlines a framework for setting goals and developing
mechanisms and processes for implementing fee discounts.
Table 5: Framework for Stormwater Fee Discount Programs
Goal of Discount Mechanism for Fee Reduction Process for Implementation
Reduce Imperviousness


Percent fee reduction
Per-square-foot credit


Percent reduction in imperviousness
Square feet of pervious surfaces
On-site Management


Percent fee reduction
Quantity/Quality credits
(performance-based)


List of practices with associated credits
Total area (square feet) managed
On-site Management


Percent fee reduction
Performance-based quantity reduction




Percent reduction in imperviousness
Performance-based
Total area (square feet) managed
Practices based on pre-assigned
performance values
Use of Specic Practices


Percent fee reduction
One time credit
List of practices with associated credits
51
For more information on stormwater fees, see EPAs Municipal Handbook for
Green Infrastructure, Chapter on Funding Options: http://cfpub.epa.gov/npdes/
greeninfrastructure/munichandbook.cfm and EPA Region 3s Fact Sheet on
Funding for Stormwater Programs: http://www.epa.gov/npdes/pubs/region3_fact-
sheet_funding.pdf
23
2Menu of Local Green Infrastructure Policies
Municipalities using a stormwater fee discount commonly set
a maximum percentage for the discount to ensure adequate
revenue generation. This discount is primarily given for
stormwater quantity reductions and in fewer cases for pollu-
tion reduction for water quality purposes. Discounts are also
offered for impervious surface reductions, whether for total
area or by the square foot. Finally, credits can be based on the
implementation of specifc practices, such as rain gardens,
green roofs or even tree canopy area. Portland, Oregon, gives
specifc credits for sites with ecoroofs or trees over 15 feet tall
(see Figure 12). Credits may vary based on the type of green
infrastructure practice and the goals the municipality has for
private lands.
Other Incentives
Incentives are a creative tool local governments can use to
encourage green infrastructure practices on private property.
Incentive mechanisms allow municipalities to act beyond
the confnes of regulatory authority to improve wet weather
management on properties that may not fall under updated
stormwater requirements. In these cases, incentives are geared
towards private property owners to promote retrofts of
existing sites to include green infrastructure practices where
they do not already exist. For new development projects,
incentives can take advantage of the development processes,
such as permitting or other development codes and require-
ments, to creatively encourage green infrastructure. The four
types of local incentive mechanisms include stormwater fee
discounts, development incentives, rebates and installation
fnancing and awards and recognition.
Development incentives apply to private developers that take
initiative in favor of more sustainable site design and green
building practices. Incentives tied to stormwater regula-
tions encourage developers to creatively implement on-site
management practices to avoid more stringent or more
costly stormwater requirements. Chicagos Green Permit
Program reviews permits much faster for projects that meet
certain Leadership in Energy and Environmental Design
TYPES OF LOCAL INCENTIVES FOR
GREEN INFRASTRUCTURE
Fee Discount: Requires a stormwater fee
that is based on impervious surface area.
If property owners can reduce need for
service by reducing impervious area, the
municipality reduces the fee.
Development Incentives: Offered to
developers during the process of applying
for development permits. Includes zoning
upgrades, expedited permitting, reduced
stormwater requirements, etc.
Rebates & Installation Financing: Gives
funding, tax credits or reimbursements to
property owners who install specifc prac-
tices. Often focused on practices needed
in certain areas or neighborhoods.
Awards & Recognition Programs:
Provides marketing opportunities and
public outreach for exemplary projects.
May include monetary awards.
Figure 12: Oregon Convention Center saves $15,600 per year on its
stormwater bill by managing roof runoff in these rain gardens.
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
24
(LEED) criteria.
52
Portlands Ecoroof Floor Area Ratio Bonus
increases a buildings allowable area in exchange for adding
an ecoroof.
53
Portland has seen over $225 million in additional
private development through this program, and has added
more than 120 ecoroofs to the City.
54
In San Jose, California,
87 percent of all development projects have reduced their
total site imperviousness to less than 10,000 square feet to
stay under the threshold at which new technology-based water
quality requirements go into effect.
55

Rebates and installation fnancing programs give money
directly to individual homeowners, other property owners
and community groups for stormwater-related projects and
can help a city or county add green infrastructure projects to
the landscape. Examples of rebates and installation fnancing
include paying back property owners that purchase and
install rain barrels or trees or disconnect downspouts from
combined systems. Seattles Residential RainWise Program
gives residents rain garden and cistern incentives (see Figure
13).
56
Santa Monica, California, gives $160,000 per year in
Landscape Grants to property owners that use native land-
scaping to reduce water consumption and absorb runoff.
57

Chicagos Green Roof Grants helped this former industrial
city add over 2.5 million square feet of green roofs across the
City. The program grants $5,000 awards to residential and
small commercial buildings that meet criteria based on loca-
tion, visibility and environmental beneft.
58

Overall, these incentive programs provide awards and savings
to developers and individuals who take extra steps to add
environmental benefts with greener stormwater management
practices. For a list of all known incentive programs from
around the country, go to the Incentives Chapter within EPAs
Green Infrastructure Municipal Handbook, at http://cfpub.
epa.gov/npdes/greeninfrastructure/munichandbook.cfm.
Figure 13: A disconnected downspout in Seattle, Washington.
52
Chicagos Green Permit Program: http://egov.cityofchicago.org/webportal/
COCWebPortal/COC_EDITORIAL/PermitFeeWaiversGreenPermitProgram_1.pdf
53
Portlands Floor Area Ratio Bonus: http://www.portlandonline.com/shared/cfm/
image.cfm?id=53363 (pages 510-32); or see http://www.portlandonline.com/bps/
index.cfm?c=ecbbd&a=bbehci
54
Portland BES presentation November 2007: http://www.portlandonline.com/Bes/
index.cfm?a=172761&c=46084 (slide 24)
55
87 percent gure based on 300 plans submitted per year with 35-40 reported
to the Regional Water Quality Control Board for passing the 10,000 square foot
threshold.
56
Seattles RainWise Program: https://rainwise.seattle.gov/systems/water
57
Santa Monica Sustainable Landscape Grant Program: http://www.smgov.net/
Departments/OSE/Categories/Landscape/grant_gardens/Sustainable_Landscape_
Grant_Program.aspx
58
Chicagos Green Roof and Cool Roof Grants Program: http://www.cityofchicago.
org/city/en/depts/bldgs.html
25
3Policy Implementation: Barriers, Lessons Learned and Realities of Each Policy
3
Policy Implementation:
Barriers, Lessons Learned and Realities of Each Policy
Overview
A fully developed municipal program that supports green
infrastructure at every scale, including the watershed, neigh-
borhood and site levels, is not created all at once or through a
single policy or initiative. Many of the municipalities in this
study found that incremental policy adoption and iterative
processes led to a fuller and more widespread adoption of
green infrastructure approaches. Some policies are easier than
others to implement, either because they require less funding,
or because they can be incorporated into existing programs or
undertaken by supportive municipal offces or agencies. Other
policies may be more diffcult because of known and unex-
pected barriers, including:
Funding
Lack of political support/leadership
Resistance to change
Coordination of multiple stakeholders and partners
Legislative action
Conficting regulations
Need for technical information and training
Nascent market
Misunderstanding about land use issues
Cost concerns
59
These items are barriers in the sense that they can add signif-
cant time and effort to the process of implementing green
infrastructure practices on the ground.
Clearing up misconceptions about green infrastructure may
take time and energy, but buy-in from key stakeholders is
important for successful policy implementation. Establishing
sustainable funding for green infrastructure is another diffcult
step, but is undoubtedly the cornerstone of long-term and
sustainable programs. Lack of political support is another
good example of a signifcant barrier that, if overcome, can
help a program fourish. However, personnel may not be
able to easily turn the tide of political resistance, and might
better invest time and energy in some of the simpler poli-
cies that can jump-start a program and provide support for
future program expansion. This section describes three steps
59
Godwin, D.C., Chan, S.A., Burris, F.A. Barriers and Opportunities for Low Impact
Development: Case Studies from Three Oregon Communities. www.nacaa.com/
journal/2008/Godwinpaper.pdf

An Economic Rationale for Integrated Stormwater Management: A Resource for
Urban and Rural Land Development in BC. Small Towns Initiative, Landscape
Architecture Program, University of British Columbia. http://www.env.gov.bc.ca/epd/
epdpa/mpp/stormwater/urban_rural_land/pdf/43.pdf

Oregon Environmental Council. Stormwater Solutions: Turning Oregons Rain Back
into a Resource, Chapter 4: Barriers to Overcome. http://www.oeconline.org/our-
work/rivers/stormwater.
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
26
for implementing policies, starting with those that can more
quickly and easily result in build-out of green infrastructure.
This three-step approach is based primarily on research
within these case studies and is meant to be informative for
municipalities trying to prioritize time and resources to launch
green infrastructure programs. All of the policies listed are
important, but can be initiated in a way that will be simpler,
cheaper and faster for getting green infrastructure practices in
the ground.
First Step Policies
Every community that is committed to green infrastructure
should secure a sustainable local funding source, revise local
stormwater regulations to require the use of green infrastruc-
ture practices on site and review local codes and ordinances to
ensure support of water quality goals.
Securing a sustainable source of funding must be the frst step
for any municipality trying to set up a comprehensive storm-
water program. Municipalities that rely entirely on outside
funds in the form of grants and loans will fnd it diffcult to
develop many of the other policies and programs. Establishing
a stormwater fee is included as a third step because of the
time it may take to properly develop an equitable fee system,
complete the public comment period and fully implement a
new stormwater fee throughout a jurisdiction. However, local
funding, whether from stormwater fees or other sources, is
a critical element of all other green infrastructure policies
and programs.
60

Stormwater Regulation
All of the municipalities in this case study report have created
a new or improved local stormwater ordinance requiring
the use of green infrastructure practices to meet quantita-
tive management standards. Revising or creating a local
stormwater regulation that explicitly encourages or mandates
green infrastructure should be a standard step in the process
of setting up a comprehensive green infrastructure program.
Table 4 in the previous chapter lists each case study and its
specifc type of stormwater regulation. Whether the storm-
water regulation is performance-based or prescriptive (by
requiring the use of particular green infrastructure practices),
communities must write stormwater codes with defnitive
language supporting or requiring the use of practices that
infltrate, reuse and/or evapotranspire runoff, depending on
local rainfall data, soil types and other conditions.
Code Review
Local code review must be an early step in the process of
truly integrating green infrastructure into all municipal
programs, from planning to public works. Local policies,
such as landscaping and parking requirements or street design
criteria, should complement strong stormwater standards
and make it easier for developers to simultaneously meet
multiple requirements.
The various regulations, processes and other policies that
should be reviewed may be under the control of a number
of different local government agencies, including parks and
recreation, public works, planning, environmental protection,
utilities and transportation. This review process will require
interagency coordination and cooperation to both identify
and address the potential inconsistencies between different
policies. A comprehensive interagency review may be more
of an undertaking in a large city with many departments
with large staffs that do not regularly communicate or think
3-STEP POLICY IMPLEMENTATION
TO SUPPORT LOCAL GREEN
INFRASTRUCTURE
First Step
Stormwater Regulation
Code Review
Second Step
Demonstrations and Pilots
Education and Outreach
Incentives
Third Step
Capital and Transportation Projects
Stormwater Fee
Fee Discount
60
For more information on setting up funding for green infrastructure programs,
see EPAs Municipal Handbook at http://cfpub.epa.gov/npdes/greeninfrastructure/
munichandbook.cfm
27
3Policy Implementation: Barriers, Lessons Learned and Realities of Each Policy
about stormwater management. For a smaller jurisdiction,
this process may be simpler because fewer departments are
involved and internal processes may be easier to change.
EPA has developed a Water Quality Scorecard that provides
guidance for communities about how to review all local
codes and ordinances, at the municipal, neighborhood and
site scales, to ensure that they are mutually supportive of
water quality goals. This policy tool can help municipal staff,
stormwater managers, planners and other stakeholders better
understand where the opportunities and barriers may exist in
a municipalitys land development regulations and other ordi-
nances from building codes to tree preservation requirements.
The Water Quality Scorecard can be found at http://cfpub.
epa.gov/npdes/greeninfrastructure/munichandbook.cfm.
Second Step Policies
Demonstration and pilot programs and education and
outreach programs can set the stage and provide support
for larger undertakings, such as instituting a stormwater
utility or incorporating green infrastructure in public project
design standards.
Demonstration Projects
Demonstration projects are the starting block for almost every
one of the communities in this case study. Built projects
provide legitimacy to green infrastructure practices that can
be challenging to establish simply through research fndings,
models and examples from other locations. Program staff
can easily build internal partnerships to identify locations
appropriate for demonstration projects or opportunities to set
up pilot programs. Three examples of successful pilot and
demonstration programs include:
1
Philadelphia: Philadelphia prioritizes
demonstration projects on public property based
on priority CSO outfalls and their drainage areas.
The Water Department has mapped the City by sewershed,
which has supported the process of identifying areas in
greatest need of CSO reductions. Demonstration projects
are monitored, ideally both before and after green infra-
structure improvements, to measure performance and
CSO reductions.
2
Seattle: Seattle Public Utilities has used
demonstration projects to achieve exponential
change. Seattle Street Edge Alternatives or SEA
6
Streets helped gain acceptance for Natural Drainage
Systems within the Seattle Department of Transportation
(SDOT). Monitoring since 2001 on the original 2nd Avenue
pilot street shows a 99 percent reduction in stormwater
volumes fowing off site.
61
Now SDOT includes swales
with any new sidewalk and otherwise reviews each major
roadway project on a case-by-case basis for inclusion of
green infrastructure.
3
Chicago: Chicagos Green Alley Program
began as a pilot program in which the Chicago
Department of Transportation (CDOT) allowed
the program to run as a one year pilot phase to retroft a
small number of alleys with permeable materials. This pilot
year allowed CDOT to develop specifcations for mixing
and installing permeable alley surface material, which has
in effect created a new market for manufacturers and
installers. Now the Works Progress Administration and
other agencies are using these materials and processes to
make permeable parking lanes, and CDOT now retrofts all
alleys in the City with permeable materials.
Education and Outreach Programs
Education and outreach are common programs in many of
the cases because they are relatively easy and inexpensive to
implement while building necessary public understanding and
support for other green infrastructure policies. Municipalities
should develop education programs not only for the general
public, but also for residential and commercial property
owners and internal municipal staff that might be working on
green infrastructure projects.
Public outreach can include placing municipal-sponsored
signs on any known green infrastructure projects, including
private properties. This brings visibility to the range of green
infrastructure projects in a community and should provide
simple, straightforward information about how infltration,
reuse and evapotranspiration work to manage runoff on site.
Signage is especially valuable for manifesting the cumulative
impact of various practices. If people recognize that a home
rain garden works in tandem with a neighboring businesss
green roof, the larger decentralized effort to reduce and
manage runoff on site becomes clear.
1
http://www.seattle.gov/util/About_SPU/Drainage_&_Sewer_System/GreenStorm-
waterInfrastructure/NaturalDrainageProjects/StreetEdgeAlternatives/index.htm
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
28
More involved education and outreach programs include
trainings and workshops offered to important stakeholder
groups such as developers, contractors and municipal mainte-
nance staff and property managers. Classes and seminars that
educate the people designing, building and maintaining green
infrastructure practices help to build local markets, dispel
misconceptions about various practices and train contractors
and staff about how green infrastructure systems function.
Decisions to establish education programs are generally
less controversial than most other policy options and can
be made at the staff or program level. The distribution of
materials such as simple explanatory brochures or even more
complicated design guides
62
can lead to better understanding
by everyone from homeowners to municipal property
managers and contractors, which leads to better performance
and hopefully greater adoption of green infrastructure prac-
tices. Furthermore, education programs create public and
political support as people begin to recognize, discuss and
inquire about projects.
Incentives
Incentive mechanisms can be easy to implement and afford
local decision makers the fexibility and creativity to tailor
programs to specifc priorities or to particular geographic
Figure 14: Seattles Green Factor requires 30 percent parcel vegetation in business districts. Property owners can use various practices to reach the 30
percent threshold, with bonuses for rainwater harvesting, drought tolerant plants, tree preservation, green roofs and more. Image from the City of Seattle.
62
To see examples of education and outreach materials from these case studies
and more, go to www.epa.gov/greeninfrastructure.
29
3Policy Implementation: Barriers, Lessons Learned and Realities of Each Policy
areas in a community. Incentives are voluntary, which creates
less resistance from stakeholder groups and allows policy
makers to test or pilot programs that may one day develop
into mandates or requirements. Seattles Green Factor is
limited to downtown business districts, both because of the
economic development potential of improved green space
there, and also because it allows the City a defned area to
pilot this new program before applying it to other areas and
zoning types in Seattle (see Figure 14).
63

Incentives can be very effective when tied to regulatory
programs or to a stormwater fee. Offering property owners
a way to decrease regulatory impacts or stormwater fees can
serve as effective motivation to decrease on-site impervi-
ousness or add specifed green infrastructure practices for
managing runoff. However, municipalities should lead by
example and incorporate green infrastructure design standards
into public works projects at the same time as introducing
incentives for the private sector.
Third Step Policies
Capital and Transportation Projects
Municipal governments can create and preserve large areas
of green infrastructure by integrating green infrastructure into
major capital projects and transportation projects. This may
come in the form of design standards for capital and transpor-
tation projects, by purchasing sensitive natural areas, or by
changing ingrained processes for implementing major public
works projects. When local governments lead by example,
they send a clear message that the municipality is dedicated
to a new form of stormwater management and a new way of
approaching development. Furthermore, public projects allow
internal city or county staff a chance to learn about green
infrastructure, including construction and installation, how to
review plans and alter designs and how to operate and main-
tain the variety of practices that infltrate, reuse and evapo-
transpire stormwater. Including green infrastructure in capital
and transportation projects is very important for creating a
long-term green infrastructure program.
However, changing well-established bureaucratic processes,
both for political decision making and for implementation
of public works plans, can be both slow and diffcult. While
incorporating green infrastructure into these projects can
63
Seattle Green Factor: http://www.seattle.gov/dpd/Permits/GreenFactor/Overview/
retroft or create large land areas with green infrastructure,
these projects may need to come as a lower priority for
municipalities hoping to see more immediate impacts.
Stormwater Fee
Municipalities that are serious about setting up effective green
infrastructure programs must secure sustainable funding.
Stormwater fees can be easier to establish than a local tax
because a fee is a charge that municipalities have the authority
to leverage for the services they provide, if they have the
appropriate enabling legislation. However, a new or revised
stormwater fee requires data collection and fnancing studies
to ensure revenue generation and evaluate equity issues.
These processes can take time and money, but are necessary
elements for developing fair and functional stormwater fees.
Furthermore, although stormwater fees do not require direct
public approval, they do need political support.
The District of Columbia recently embarked on an effort
to increase stormwater fees to meet its EPA MS4 permit
requirements. Like some other municipalities, the District
of Columbia previously charged for stormwater based on
potable water use and is planning to shift to an impervious
surface billing system that more accurately refects the
service of managing stormwater runoff created by a sites
impervious surfaces. The process has been neither quick nor
easy. The District of Columbia Water and Sewer Authority
is the entity that bills residents on the District Department of
Environments behalf. This outside coordination has slowed
the process, along with concerns about collecting adequate
revenues, how to fairly and accurately calculate the charge,
how to provide discount programs for low-income resi-
dents and even how to represent the charge on bills. Despite
political and stakeholder support for the new fee system, the
District is still waiting to fully implement its new stormwater
fee. The District of Columbia provides just one example that
the process can be complicated and cumbersome, but impor-
tant for cities that want to increase revenues and more accu-
rately and equitably charge property owners for stormwater
management costs.
Fee Discount
Stormwater fee discounts are intricately tied to the storm-
water fee and often share the same delays and complications.
Municipalities want high participation rates in any discount
program in order to see green infrastructure retrofts, but
there are simultaneous concerns about meeting revenue goals.
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
30
Extensive revenue generation studies can prove diffcult to
undertake without hiring consultants. Also, signifcant stake-
holder engagement is necessary to the success of an incen-
tive program that will likely impact large-scale development
projects and existing commercial and industrial properties.
Portland, Oregon, provides insight into setting up a discount
program that takes these concerns into account. The City
anticipated the highest level of participation in the frst year of
its discount program and increased stormwater rates by nearly
20 percent in the frst year to make sure they met revenue
goals. Although participation rates were only one-third of
what the City estimated, they maintained revenue increases
and invested excess funds in capital improvements and water-
shed restoration projects. City staff said in retrospect they
would have piloted the discount program in targeted parts
of the City to see how it was received by property owners to
better estimate participation. A pilot program also would have
allowed the City to more easily fx faws in the program that
were much harder to address with a larger citywide program.
Before setting fee discounts, municipalities should frst deter-
mine the stormwater management goals they wish to achieve
(e.g., reduce impervious cover, increase infltration, increase
green roofs). Once these management goals are defned, off-
cials must then decide how to credit private property owners
for the action(s). Some cities give a percent discount for level
of performance, primarily for stormwater quantity reduc-
tion and in fewer cases for pollution reduction. Discounts are
also offered for impervious surface reductions, whether for
total area or by the square foot. Finally, credits can be based
on particular practices, such as rain gardens, green roofs or
even tree canopy. This overall process should be thoughtfully
developed with input from ratepayers and should build in
opportunities for responsive change based on feedback.
4
Conclusion
31
4Conclusion
Integrating Policies
The municipalities in this study illustrate the success of
setting up an integrated program that weaves together
multiple goals and engages various local agencies. Instead
of limiting the scope of stormwater efforts to the regulatory
framework outlined in the Clean Water Act, the most innova-
tive municipalitiesthose with extensive build-out of green
infrastructureuse a range of regulatory and non-regulatory
mechanisms. Local leadership has helped create programs that
move beyond stormwater regulations and take advantage of
policies and programs that protect large scale green infrastruc-
ture, retroft existing impervious sites and establish new areas
to include green infrastructure practices.
While land use regulations can address many properties
and land use types, other approaches such as demonstration
projects, incentives, grants and outreach programs increase
the amount of green infrastructure through retrofts, stream
restoration, watershed projects and changing public percep-
tion of stormwater and the infrastructure needed to minimize
and manage it. These cities and counties did not always create
a clear plan that led to all intended results; many have devel-
oped programs over time, flling out gaps with new policies
and refning existing policies as they go along. It was also
critical that these communities had the initiative to take some
frst steps and continue to learn as they went along.
Setting Priorities
Whether a communitys water-related concerns are primarily
with improving water quality, reducing water quantity,
restoring natural hydrology, or all of the above, local policy
makers need to defne local goals and then create policies or
programs aimed at these priorities.
Municipalities should also strategize about how to gain
benefts where they are most needed and target programs
for specifc properties and land use types or geographically
defned areas. For example, some communities will prioritize
combined sewer areas or neighborhoods with the highest
percentage of impervious surfaces. Other municipalities may
direct policies at specifc land uses, like parking lots or vacant
properties that combine to form a large block of impervious
surface types. Others still may put an emphasis on adding
surface vegetation to neighborhoods with less access to
public green space. Local priorities, needs and availability of
resources should determine the mix of policies most appro-
priate to achieve these goals.
Innovative communities in this study, and those beyond
the ones listed here, are setting green infrastructure priori-
ties based on achieving multiple objectives and choosing
approaches that will drive progress in various sectors. For
example, cities should consider the non-water benefts of
green infrastructure for energy conservation, greenhouse gas
emission reductions, public health, community livability,
resource recovery (phosphorus and biosolids), reduced
infrastructure construction, operation and maintenance costs
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
32
and more. Some communities, metropolitan areas and even
multi-state regions are starting to link together the site-level
and municipal performance of green infrastructure systems to
larger regional performance and benefts. For example, Open
Space Seattle 2100 is a project that integrates urban plan-
ning with watershed planning, uses existing data to calculate
long-term future scenarios and outlines a range of benefts
from connected green infrastructure systems (see Figure 16).
64

Similarly, Philadelphias Triple Bottom Line study assesses
green infrastructure options for CSO control over 40 years
and determines citywide, total present value benefts to range
from about $1.9 billion (2009 USD) under the 25 percent
green infrastructure option to more than $4.5 billion under
the 100 percent green infrastructure option (see Figure 15).
Ongoing work and future development may help establish
metrics and methodologies for determining the benefts of
integrated approaches to resource management and commu-
nity design and planning.
Long-Term Planning and Investment
Communities that take the long-term view invest in hybrid
green and gray systems that provide more community and
environmental benefts while maintaining existing invest-
ments. A systematic approach, often initiated by mapping
existing needs and assets, will help to defne long-term goals
and timelines for achieving them. Moving beyond short-term
projects is especially important for investing in vegetated
systems that require time to grow and show performance for
managing stormwater runoff. At the larger neighborhood and
watershed scale, building out different parts of a community
with green infrastructure will require time to show cumu-
lative benefts as these areas link together and work as a
whole system.
Municipalities should approach the development of a green
infrastructure program as an iterative process with many
incremental steps. There are a number of policy options
available with a range of
necessary inputs, including
funding, staffng, time, public
participation and support
from politicians, stakeholder
groups and even upstream or
downstream jurisdictions. In
light of the many potential
barriers, municipalities should
seek to build programs that
are fexible and multifaceted.
Flexible programs will be able
to respond to changing political
climates, public perceptions
and new information about
the performance and design of
green infrastructure systems.
By using a diverse set of poli-
cies across all three scales,
from the watershed to the
neighborhood and site, commu-
nities can fully integrate green
infrastructure into the fabric of
the built environment.
< 1%
2%
1%
5%
4%
12%
37%
20%
18%
Increased recreational opportunities
Improved aesthetics/property value
Reduction in heat stress mortality
Water quality/aquatic habitat enhancement
Wetland services
Social costs avoided by green collar jobs
Air quality improvements from trees
Energy Savings
Reduced damage from SO
2
and NO
X
emissions
Reduced damage from CO
2
emissions
Figure 15: Citywide net benets for green infrastructure options. Courtesy of Philadelphia Water Department.
http://www.phillywatersheds.org/ltcpu/Vol02_TBL.pdf
64
Open Space Seattle 2100: Designing Seattles Green Network for the next
century: http://open2100.org
33
4Conclusion
Figure 16: Open Space Seattle 2100 bases urban planning on watershed units and integrates transportation,
water infrastructure, habitat areas and community amenities. Map courtesy of http://open2100.org
35
Case StudyAlachua County, FL
Green Infrastructure
Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
Alachua County, Florida CA S E S TUDY
Overview
Home to the City of Gainesville and the University of Florida,
Alachua County is located in the fat Central Highlands
region of north-central Florida. Water is a remarkably visible
and important resource for Alachua County. Ample rainfall
throughout the year provides water to more than 20 creeks
and streams that fow into sinkholes, lakes, marshes and the
Santa Fe River. These waterbodies serve as habitat to diverse
biota, provide a variety of recreational opportunities, and
stimulate economic activity by drawing tourists and residents
alike. Some of this surface water also recharges the Floridan
aquifer, a vast groundwater reservoir that supplies 90 percent
of Floridas drinking water and all of Alachua Countys
drinking water.
Alachua County is largely rural outside of Gainesville and
the University of Florida, and population growth is placing
increasing pressure on the Countys land and water resources.
To preserve these fragile natural resources, Alachua has
developed a set of regulatory, land acquisition, and informa-
tion strategies promoting green infrastructure. Alachua takes
a systems approach to green infrastructure, recognizing the
interconnections between land, water, habitat and quality of
life. The County has drawn broad support for green infra-
structure activities by identifying the multiple benefts beyond
stormwater management. The Countys governance structure
promotes collaboration, performance management, and public
involvement. This open and responsive structure allows
the program to adapt to residents priorities and promotes
continued support.
Drivers
Alachuas green infrastructure program was developed largely
in response to development pressures associated with its
growing population. Existing development has generated
a host of impacts to surface waters, habitat, and recreation,
including fooding, stream channel erosion, and poor water
quality. Because the Countys surface waters are hydrologi-
cally connected to its groundwater supply, degraded surface
waters could also affect the Countys drinking water. As the
Countys population and development continues to increase,
county managers recognize the need to protect the land and
water resources for future generations.
Figure 1: Madera is a neighborhood development on 40 acres that
achieves decentralized stormwater management and protects mature
trees. The developer, Green Trust LLC, saved $40,000 on stormwater by
using existing forested basins instead of building new retention ponds.
Regulatory Strategies
Adopted in 2005 and 2006, Alachuas Comprehensive Plan
and Land Development Code include a comprehensive set of
regulations promoting green infrastructure at multiple scales.
A series of development requirements promote green infra-
structure at the site and neighborhood scales. While devel-
opments of 25 units or more are required to cluster units to
preserve at least 50 percent of open space, all developments
are required to preserve signifcant natural areas and trees.
Developers must maintain 75 foot buffers along streams, 50
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
36
percent of strategic ecosystems as identifed by the County,
and 20 percent of existing tree canopy. To reduce impervious
cover, the Land Development Code reduces the minimum
pavement width standard to 18-22 feet for residential roads,
and allows shared parking and pervious materials for spill-
overs or parking lanes.
The Comprehensive Plan and Land Development Code also
include a set of regulations requiring a comprehensive storm-
water management program. To improve the performance of
the Countys stormwater management system, the County
is required to maintain an inventory of stormwater manage-
ment practices, track maintenance requirements, and schedule
maintenance activities in the Capital Improvements Program.
The Plan and Code also address funding and administration.
The County is required to pursue a dedicated revenue source
for its stormwater management program, and the Public
Works Department is charged with administering the program.
Land Acquisition Strategies
Alachuas land acquisition strategies complement its regula-
tory strategies by expanding the Countys regional-scale green
infrastructure. Alachuas land acquisition strategies enjoy
broad support from citizens and landowners. In November
2000, voters overwhelmingly approved the use of $29 million
collected through a property tax to create a dedicated fund for
land acquisition. The fund, called Alachua County Forever,
uses voluntary acquisition tools including sales, donations and
dedications of interests in land to conserve open spaces nomi-
nated by the public. Voters reaffrmed their commitment to
land conservation in 2008 with the passage of the Wild Spaces
Public Places referendum. This referendum established a one-
half cent sales tax for two years to fund land conservation and
recreational improvements.
Information Strategies
Alachuas information strategies include indicators tracking,
information sharing, education and outreach, civic engage-
ment, and intergovernmental coordination. By tracking and
sharing the success of its regulatory and land acquisition
strategies, Alachua promotes confdence in its programs,
increases citizen engagement, and assures long-term support
of its resource protection efforts.
Implementation
Alachuas development records, built environment, and
open space network attest to the success of its policies. From
April 2006 to September 2009, developments reviewed and
approved by the County protected 31 percent of open space,
67 percent of the tree canopy, 27 percent of upland habitat, 59
percent of strategic ecosystems, and 100 percent of wetlands.
Alachuas Madera subdivision (see Figure 1) provides an
illustrative example of the site- and neighborhood-scale green
infrastructure practices the Countys development regula-
tions can promote. In designing site plans to preserve existing
vegetation, the developer not only retained mature trees, but
reduced soil compaction. Infltration was further promoted by
native landscaping, narrower streets, and depressed bioreten-
tion areas in each cul-de-sac.
On a regional scale, Alachuas land acquisition program has
protected an impressive network of open space in the 10 years
since its conception. Alachua County Forever has protected
over 18,000 acres of land worth over $81 million. Today,
Alachua has nature preserves in every quadrant of the County,
90 percent of which are open to the public. These include
large, connected properties as well as urban green space.
Alachua County offers an instructive example for other rural
counties experiencing steady urbanization. By taking action
early to preserve its land and water resources, Alachua has
assured continued access to open space, clean water, and
diverse ecosystems for generations to come.
Figure 2: Depot Pond is a former browneld site that was cleared of
contaminated soil and converted into a functional wetland for managing
runoff from nearby downtown.
37
Case StudyChicago, IL
Green Infrastructure
Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
Chicago, Illinois CA S E S TUDY
Overview
the high density of impervious cover in urban areas, which
tend to absorb more heat in the day and radiate more heat
A vibrant city on the shores of Lake Michigan, Chicago is one
at night. With 58 percent of its urban area occupied by
of the nations innovators in green infrastructure. Chicagos
impervious cover, Chicago experiences a particularly severe
3 million residents are served by a vast system of water and
urban heat island effect. Green roofs and the urban tree
wastewater infrastructure that includes more than 100 square
canopy are known to signifcantly reduce temperatures in
miles of impervious cover, thousands of miles of water and
urban environments.
sewer pipes, a 28-mile canal that reverses the course of the
Chicago River, and nearly 100 miles of stormwater storage
The fnal driver of green infrastructure in Chicago is the
tunnels. Chicago leaders and residents are creating an inte-
Citys efforts to advance its triple-bottom-line. Chicagos
grated system of gray and green infrastructure to better serve
mayor and other city leaders have consistently maintained
their environmental, social and economic objectives. In addi-
that a healthy environment is both consistent with and
tion, Chicagos green infrastructure program is one element
critical to a robust economy and a richer quality of life. In
of a comprehensive environmental agenda addressing green
the comprehensive Water Agenda released in 2003, and
building, transportation, energy and resource management.
Environmental Action Agendas released in 2005 and 2006,
Chicagos leaders have reaffrmed their belief that environ-
Drivers: Aging Infrastructure, Urban Heat
mental initiatives can help the City stretch taxpayer funds,
Islands, and the Triple Bottom Line
help residents save money on energy costs, make the City a
Like many cities that installed sewage collection systems great place to live, and contribute to increased property values
before the 1930s, Chicago has a single piping system to trans- for Chicago homeowners.
port both sewage and stormwater runoff. When large storms
overwhelm the capacity of Chicagos wastewater treatment Stormwater Management Ordinance
plants, untreated waste and stormwater is discharged into the
The Chicago policy that most directly promotes green infra-
Chicago River, degrading water quality in the Des Plaines
structure is the recently adopted Stormwater Management
River and Lake Michigan. Though Chicago has invested
Ordinance. As of January 1, 2008, any new development or
billions of dollars in a deep tunnel system to expand
redevelopment that disturbs 15,000 square feet or more or
capacity during food events, the City is supplementing
creates a parking lot of 7,500 square feet or more must detain
this gray infrastructure approach with green infrastructure.
at least the frst half inch of rain on site. Alternatively, the
Completion of the deep tunnels is not anticipated until 2019,
development may reduce the prior imperviousness of the site
and climate change may overwhelm its capacity. To create a
by 15 percent.
more robust system, Chicago is promoting landscape-based,
green infrastructure approaches that infltrate, evapotranspire
Green Streets Program
or harvest rainwater before it enters the sewer system.
In 1989, Mayor Richard Daley announced a Green Streets
Green infrastructure is also viewed as a cost-effective
initiative to expand the citys tree canopy. By increasing
approach to the extreme summer heat exacerbated by the
public and private tree plantings and improving mainte-
urban heat island effect. Urban heat islands are caused by
nance and public education, Mayor Daley hoped to increase
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
38
the urban canopy by half a million trees by 1992. Though
progress was slower than hoped, by 2006, more than 583,000
trees had been planted, raising the proportion of the City
shaded by trees to 14.6 percent. These trees not only had the
intended effect of improving quality of life and air quality,
but also reduced runoff volumes through interception
and evapotranspiration.
Green Roof Program
Chicago offers incentives for building green roofs
through its Green Roof Grant Program and Green Roof
Improvement Fund. In 2005, 2006 and 2007, the Green
Roof Grant Program awarded grants of $5,000 to 72 green
roof projects on residential or small commercial build-
ings. In 2007, the Chicago City Council allocated $500,000
to the Green Roof Improvement Fund, and authorized the
Department of Planning and Development to award grants of
up to $100,000 to green roof projects within the Citys Central
Loop District. Though neither grant program is active in the
present economic environment, the City hopes to resume
these programs once the Citys budget recovers.
Green Alley Program
The City of Chicago has an estimated 1,900 miles of public
alleys paved with 3,500 acres of impervious cover. The Green
Alley Program began in 2006 as a series of pilot projects
conducted by the Chicago Department of Transportation
(CDOT) to test a variety of permeable paving materials to
reduce fooding in alleys and increase infltration of runoff.
By the end of 2009, the program became permanent, and
CDOT had installed more than 100 green alley designs
throughout the City. To share its experience with sustainable
infrastructure practices, the City published the Green Alley
Handbook,
1
which describes best management practices
implemented by the program and presents examples from
pilot projects.
Sustainable Streetscapes Program
Through the Sustainable Streetscapes Program, CDOT
integrates green stormwater infrastructure into street improve-
ment projects throughout the City and tests novel storm-
water management techniques. Notable projects include the
realignment and grade separation project at 130th Street and
Torrence Avenue, the realignment of U.S. Route 41 through
the USX Southworks site, and the pilot project planned for
Cermak Road. The 130th Street and Torrence Avenue project
near the Calumet River will redirect the roadway runoff to
discharge into a new treatment pond and vegetated swale
rather than directly into the river. Similarly, the realignment of
U.S. Route 41 will include permeable pavement, infltration
pipes, and other treatment structures to reduce the volume
and pollutant loads of runoff into Lake Michigan and the
combined sewer system. Other sustainable streetscape proj-
ects completed by CDOT have included permeable pavers,
rain gardens, a permeable plaza, and permeable asphalt
parking lanes.
Figure 1: Chicagos Green Alley Program retrots existing alleyways to
include permeable pavers like these to inltrate stormwater runoff. Photo
courtesy of David Leopold.
1
Chicagos Green Alley Handbook: http://www.cityofchicago.org/city/en/depts/
cdot/provdrs/alley/svcs/green_alleys.html
39
Case StudyChicago, IL
Figure 2: This Chicago building features a green roof, permeable
pavers and bioswales, which meet Chicagos stormwater management
requirements.
Green Permit Program
Established in 2005, the Department of Buildings Green
Permit Program offers owners and developers an innovative
incentive to build green. Qualifying projects may beneft
from an expedited permitting process and lower permit-
ting fees. Projects qualifying for Tier I benefts will receive
permits in less than 30 business days. Since earlier construc-
tion starts generally lead to earlier sales and reduced interest
on construction loans, this time savings can translate into
signifcant fnancial savings. Projects qualifying for the
more demanding Tier II benefts may also receive a direct
fnancial beneft in the form of reduced permitting fees of up
to $25,000.
Implementation
Chicagos comprehensive green infrastructure program results
in highly visible changes in the Citys landscape. As of 2010,
nearly 600,000 trees had been added to the Citys tree canopy,
and more than 4 million square feet of green roofs had been
installed on 300 buildings. Pilot projects throughout the City
are also demonstrating how green infrastructure practices can
be integrated into alleys, streets and buildings. These projects
not only reduce runoff, but reduce the urban heat island effect,
improve air quality, and enhance the pedestrian environment.
Data collected from City Halls green roof indicate that the
roof not only reduces stormwater runoff by 50 percent, but
signifcantly reduces energy use and saves the City approxi-
mately $5,500 annually on heating and cooling expenses.
Less visible, but perhaps more impressive, are the changes
in the way the City and the development community do
business. As the City constructs pilot projects to demon-
strate green infrastructure practices, developers and associ-
ated design, construction and manufacturing industries are
becoming more familiar with green infrastructure materials
and practices. This familiarity together with the Citys various
fnancial incentives has increased the cost-competitiveness of
some green infrastructure practices and expanded their adop-
tion among the development community. By integrating green
infrastructure into a broader environmental agenda, leading by
example, and pursuing an incentive-based approach, Chicago
is gradually moving towards more sustainable development
and a more robust triple-bottom-line.
41
Case StudyEmeryville, CA
Green Infrastructure
Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
Emeryville, California CA S E S TUDY
Overview
As Emeryville, California, transitions from a declining indus-
trial city to a vibrant, mixed-use urban center, city managers
are promoting environmental and economic sustainability
through an innovative set of green infrastructure poli-
cies. Emeryville is a former industrial hub located between
Oakland and Berkeley on the San Francisco Bay. Industry
left the City in the 1960s, and Emeryville struggled with its
legacy of contaminated properties until the 1990s, when an
aggressive brownfelds redevelopment program was initi-
ated. The brownfelds program met with great success and
attracted thousands of new residents to the 1.2 square mile
City, but initial efforts neglected the environmental and social
impacts of redevelopment. Emphasizing the capping of
contaminated soils with parking lots and pavement, initial
redevelopment efforts created a largely impervious landscape
that impaired water quality, pedestrian access, and quality of
life. In 2004, Emeryville received a smart growth grant from
EPA to develop sustainable solutions to brownfeld redevelop-
ment, and produced a comprehensive set of stormwater poli-
cies and guidelines adapted to Emeryvilles unique context.
Recognizing both the multiple benefts of green infrastructure
and the limited supply of developable land, these policies
promote the integration of site-scale green infrastructure prac-
tices throughout the built environment. Emeryvilles experi-
ence with green infrastructure illustrates the versatility of the
green infrastructure approach, and offers valuable lessons
to other cities interested in redevelopment that is both dense
and green.
Drivers: Regulation and Limited
Developable Land
Emeryvilles approach to stormwater management was
shaped largely by regulatory requirements associated with the
Clean Water Act, and by the Citys limited supply of develop-
able land. Beginning August 15, 2006, the National Pollutant
Discharge Elimination System stormwater permit issued to
Emeryville by the San Francisco Regional Water Quality
Control Board required all projects creating 10,000 square
feet or more of impervious cover to include post-construction
stormwater controls on site. Given the limited supply of
developable land in Emeryville and the associated lack of
green and pedestrian friendly spaces, city managers chose
to address these requirements by expanding the Citys green
infrastructure network.
Policies
Emeryville requires new developments to manage stormwater
with green infrastructure and provides detailed design guide-
lines tailored to the Citys unique context. In 2007, Emeryville
introduced a comprehensive set of green infrastructure provi-
sions into its Municipal Code. These provisions promote and
require the integration of green infrastructure into stormwater
management systems by: 1) minimizing impervious area, and
2) including vegetative stormwater controls. Emeryvilles
Figure 1: High-density housing with green infrastructure features is neces-
sary in Emeryville to take advantage of the mere 1.2 square miles of
developable land in this city.
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
42
green infrastructure provisions address the entire life span of
stormwater treatment systemsfrom design to maintenance
and inspection. Design provisions require all developers to
comply with the Citys Stormwater Guidelines for Green,
Dense Redevelopment,
1
and permitting provisions require
developers of lots 10,000 square feet or larger to enter into
an operations and maintenance agreement. This system of
requirements, guidelines, and permits requires developers to
address the design and maintenance of green infrastructure
throughout the projects planning and operation.
Emeryvilles high water table, dense development patterns,
and compacted or contaminated soils pose signifcant chal-
lenges to green infrastructure. Infltration opportunities
are often limited, and infltration in contaminated soils
could pose a risk to groundwater. To promote the installa-
tion of green infrastructure systems adapted to the Citys
unique constraints, Emeryville developed and published the
Stormwater Guidelines for Green, Dense Redevelopment.
These guidelines offer developers a range of green infra-
structure alternatives grouped into two general strategies:
innovative parking solutions to reduce runoff and innovative
stormwater controls to manage and treat runoff. The inte-
grated parking strategies included in the guidelines reduce
runoff by reducing the number of parking spaces required by
the community. These strategies include pricing strategies,
transportation demand measures, and parking information and
guidance systems.
The innovative stormwater controls include methods to
infltrate, evapotranspire and/or harvest and use stormwater,
while adapting to space constraints and preserving ground-
water quality. These controls take many formsfrom green
roofs to permeable pavementsbut all follow a few general
principles. First, many of the stormwater controls consist of
plantings or landscaped areas designed to serve as compo-
nents of the stormwater treatment system, rather than orna-
ments. Second, all stormwater controls may be integrated
into the urban mosaic of a dense city. Finally, all stormwater
controls that infltrate stormwater include under-drains
connected to the sewer system to reduce the risk of ground-
water contamination. The guidelines also include a numeric
sizing methodology to aid developers in sizing green infra-
structure facilities.
Implementation
Though Emeryvilles green infrastructure policies are
relatively new, implementation has proceeded smoothly,
and at least 10 projects have incorporated the guidelines
so far. These projects include the GlasHaus development,
which planted vegetation on a podium level to capture and
treat stormwater, and Green City Lofts, a 62-unit develop-
ment that reuses stormwater for irrigation on site. Developer
resistance is low, and experience to date has demonstrated
that additional costs may be minimal. If stormwater treatment
measures are addressed early in the planning process, the
project can easily integrate space requirements and may even
achieve operational savings.
Green infrastructure offers many benefts aside from storm-
water treatment. The integration of green infrastructure into
streets, parking lots, landscapes and buildings can create
more pedestrian friendly spaces, calm traffc, improve air
quality, reduce the urban heat island effect, create habitat, and
improve energy effciency. As permeable pavements, native
plantings, and other green infrastructure practices become
standard features of new construction, Emeryville expects its
green infrastructure system to enhance urban livability and
sustain its economic renewal.
Figure 2: Multi-level or stacked parking behind a business further reduces
imperviousness and complies with Emeryvilles Stormwater Guidelines
for Green, Dense Redevelopment.
1
Emeryvilles Stormwater Guidelines for Green, Dense Redevelopment: http://www.
epa.gov/smartgrowth/emeryville.htm
43
Case StudyLenexa, KS
Green Infrastructure
Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
Lenexa, Kansas CA S E S TUDY
Overview
Lenexa, Kansas, is a growing suburb in metropolitan Kansas
City that faces increasing pressure from the impacts of new
development, including more homes, roads and other imper-
vious surfaces that create more runoff. In an effort to protect
local water quality, as well as prevent fooding and improve
the quality of life for residents, Lenexas comprehensive plan,
Vision 2020, initiated Rain to Recreation, an innovative and
integrated watershed protection program.
Rain to Recreation outlines a number of policies and programs
to protect land from future development and introduce new
green infrastructure practices that limit imperviousness and
manage runoff on site. Since the program began in 2000,
it has grown to include both regulatory and non-regulatory
approaches as well as major capital projects and land acqui-
sitions. From protection of priority natural resource areas
in the watershed, to creation of riparian greenways through
application of the stream setback ordinance, down to requiring
low-impact development practices on site, Lenexa is investing
in green infrastructure at all three scales, including the water-
shed, neighborhood and site levels.
Regulatory Changes
In 2001, as part of the larger comprehensive plan, Lenexa
established an integrated Stormwater and Watershed
Management Master Plan that focuses on correcting existing
problems in developed areas, building new facilities to
minimize runoff and protecting undeveloped lands. In 2004,
Lenexa increased its requirements in favor of stormwater
management practices that infltrate, reuse and evapotrans-
pirate runoff by passing a stormwater ordinance and design
manual to comply with its new National Pollutant Discharge
Elimination System (NPDES) Phase II permit.
1

Lenexas updated post-construction stormwater ordinance
applies to both new and redevelopment projects and priori-
tizes water quality by assigning rankings for different storm-
water management practices based on their value for water
quality performance. Developers are thinking creatively about
how to meet the new standards, selecting low-impact devel-
opment practices that are both functional and aesthetically
pleasing for residents and tenants. These natural and func-
tional green infrastructure designs complement neighborhood
revitalization plans and gain multiple benefts for the environ-
ment and community.
Figure 1: A constructed 1
st
order intermittent stream in a
neighborhood development slows and inltrates stormwater
runoff, while adding aesthetic value for residents. Plant
selection and landscape transition plantings were carefully
considered for acceptance.
1
To access Lenexas Phase II NPDES Permit, go to http://www.raintorecreation.org/
idde_program_plan.pdf
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
44
Figure 2: Lenexas Parks and Trails Plan outlines existing and future projects to protect and preserve open space, especially right around streams (shown
in green as protected by the setback ordinance) and sensitive sub-watersheds.
Land Acquisition and Restoration Projects
Lenexa is not just motivated by water quality improvements,
but is also driven to use green infrastructure practices and
plans to address food concerns, stream erosion and quality of
life improvements for local citizens. Water quality and water
quantity are addressed through different policy mechanisms.
While the new stormwater ordinance deals directly with water
quality, water quantity is being minimized through large-scale
projects that the City builds on its own.
The City purchases land in priority areas to provide food
mitigation, stream protection, water quality improvement
and recreational amenities. For example, Lake of the Prairie
and Mize Lake are two projects that restore and stabilize
damaged sections of streams, create new wetland areas and
include plans to construct large recreational and educational
amenities. The largest project in Lenexa is a $26 million
project called Lake Lenexa, which includes a 35-acre lake at
the center of a nearly 350-acre public park. The comprehen-
sive design for Lake Lenexa includes wetlands, rain gardens,
stream restorations, trails and boardwalks, recreational space
and art and education areas. The City bought the property to
protect the land from potential development and to enhance
existing natural resources.
Creative Funding
Lenexa uses creative and long-term funding for these major
land purchases and projects, as well as for the day-to-day
staffng and management of the Rain to Recreation program.
In 2000, Lenexa taxpayers voted for a ballot to add a 1/8 cent
sales tax to support building stormwater facilities that repair
existing infrastructure problems and protect against future
fooding events. In addition, Lenexa established a stormwater
utility to provide sustainable funding for its new programs.
The stormwater utility charge is based on the amount of
runoff surface on each parcel of land. Each property is
charged $5.50 (in 2008) per equivalent dwelling unit (EDU),
which is measured at 2,750 square feet, or about the average
runoff surface area of a house with a driveway. Commercial
and non-residential properties are charged based upon amount
of stormwater runoff generated and rates are calculated by
dividing total runoff surface area by the number of square feet
in an EDU (2,750) to more closely charge these larger proper-
ties by runoff contributions to the public system.
In 2004, the Lenexa City Council adopted the Systems
Development Charge to require new developments to pay a
one-time fee at the time of the building permit as a means
for recovering costs for capital improvement activities. This
charge works like a fee-in-lieu mechanism where developers
45
Case StudyLenexa, KS
are paying the City to manage water quantity that is created
by the addition of new impervious surfaces.
Continued grants from state and federal sources, such as
Clean Water Act Section 319 Nonpoint Source funding
for park construction and Surface Transportation Project
funding for roadway projects, have assisted with capital and
demonstration projects like Lake Lenexa. Other sources of
funding also support Lenexas stormwater program, including
Johnson County Stormwater Management Advisory Council
funding supported by a 1/10 cent sales tax and basic permit-
ting fees charged to developers. Together, these funding
sources ensure long-term watershed protection through the
continued creation, operation and maintenance of green
infrastructure practices.
Overall, Lenexa wields strong local control to require
more rain gardens, bioswales and other forms of green
infrastructure in private development projects. At the same
time, through the Rain to Recreation program, the City
invests heavily in large land preservation and restoration
projects that provide key neighborhood and watershed
scale green infrastructure.

47
Case StudyOlympia, WA
Green Infrastructure
Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
Olympia, Washington CA S E S TUDY
Overview
Olympia, Washington, is the capital city of the State of
Washington and is located on the Puget Sound, a sensitive
estuary in the Pacifc Ocean. Olympias Storm and Surface
Water Utility works alongside other city departments, such
as Planning and Zoning, and Parks, Arts, and Recreation, and
businesses and residents, to promote best available science
and local innovation that can help enhance water quality,
prevent fooding and protect aquatic ecosystems.
Drivers
Olympias Storm and Surface Water Plan aims to protect and
improve water quality, maintain and prevent further degrada-
tion of aquatic habitat and minimize fooding. Olympia is part
of the Western Washington Phase II Municipal Stormwater
Permit, which requires fve counties and 81 cities to manage
stormwater before it discharges to surface and groundwater.
In addition to regulatory drivers, the citizens and decision
makers in Olympia hope to protect salmon populations and
aquatic habitat for many species, which are harmed in already
degraded urban waterways and threatened in still healthy parts
of the watershed.
Policies
Olympias Storm and Surface Water Plan supports better
watershed protection and runoff reduction through a variety of
policy and funding mechanisms.
On-site Stormwater Requirements
Olympias stormwater regulations require that developments
infltrate 91 percent of runoff through on-site management.
The City works with developers to offset the addition of
new impervious surfaces through effective green infrastruc-
ture practices. For example, Figure 1 shows a green roof at
Evergreen State University that helped offset new parking
spaces on campus.
Environmental Planning and Policy Development
The utility and other city departments are working together
to promote better understanding of green infrastructure
approaches and to incorporate performance measures and
evaluation tools into new policies and programs.
Capital Facilities
The City is developing new stormwater management and
restoration projects on public lands around important streams
and waterways. Projects include land acquisition, conservation
easements and other ecosystem protections and improvements.
Development Review
The utility, along with the Community Planning and
Development Department, continue to update local develop-
ment codes to ensure compliance with stormwater manage-
ment and water quality requirements, as well as encourage
Figure 1: A green roof at Evergreen College was built to offset the addition
of new impervious surfaces from new parking spaces.
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
48
innovation in the development community. The City is trying
to reach out to the development community to promote better
site planning, soil and slope protection and inclusion of green
infrastructure practices that reduce impervious surfaces and
infltrate runoff.
Code Enforcement and Technical Assistance
The City monitors and evaluates stormwater practices on
private properties, as well as provides direct assistance
to homeowners and commercial sites to help them more
effectively introduce green infrastructure practices that
are cost effective.
Storm and Surface Water Utility
Olympias stormwater rate structure secures annual revenues
used for basic system maintenance, expansion and rebuilding
of infrastructure to meet state and federal regulations and
improve water quality and protect aquatic habitat.
Permeable Streets and Sidewalks
The City of Olympia began using permeable pavement in
1999 and continues to develop new projects and retroft
existing surfaces to reduce runoff through infltration. Cost
and beneft evaluations, maintenance information and tech-
nical specifcations developed through early demonstration
projects have helped the City continue to use permeable mate-
rials on trails, sidewalks, streets and bike lanes.
In 2005, the City developed a memorandum describing the
rationale for using pervious concrete in the construction of
city-funded sidewalks, based on a study showing that it is
more cost-effective to construct and maintain pervious side-
walks to meet stormwater storage and treatment requirements
than to construct and maintain traditional sidewalks.
1
The
study considered both construction and maintenance costs and
found that traditional sidewalks totaled $101 per square yard
while pervious sidewalks cost only $54 per square yard.
Figure 2: A medical center in Olympia, Washington, manages runoff from
the roof and other impervious areas through small swales and permeable
sidewalks.
Implementation
Olympia continues to evaluate and refne the various poli-
cies and programs that support better land use and on-site
stormwater management practices. The City employs a
range of policies for new developments that add impervious
surfaces and for existing sites that can be retroftted to better
manage runoff on site. Past experience with green infrastruc-
ture helped the City secure Recovery Act State Revolving
Funds in 2009 to develop 10 acres of city-owned park land
with green infrastructure. The project will provide enhanced
treatment for 840 acre-feet of runoff per year through a water
quality treatment wetland, bio-retention ponds, a 5,000 square
foot rain garden, a new parking lot with porous pavement
and water harvesting and re-use for irrigation. These large
scale projects complement requirements for private property
owners to better manage runoff on site to protect the Puget
Sound and other priority streams in and around Olympia.
1
Memorandum on Traditional versus Pervious Concrete Sidewalks Construction
and Maintenance Cost: http://olympiawa.gov/~/media/Files/PublicWorks/PDFs/
WaterResources/Traditional%20vs%20Pervious%20Concrete%20Sidewalks%20
Memo.ashx
49
Case StudyPhiladelphia, PA
Green Infrastructure
Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
Philadelphia, Pennsylvania CA S E S TUDY
Overview
Philadelphia has a sewer collection system that is 60 percent
combined sewer and 40 percent municipal separate storm
sewer system (MS4) and is working to improve stormwater
management through restoration and demonstration efforts,
regulations and incentives for the private sector and a revised
stormwater billing system. Green infrastructure is an effective
approach for Philadelphia, which recognizes the links between
land use and water quality and the overlapping economic,
environmental and community benefts that can be gained
through green infrastructure.
Philadelphia is in the process of completing watershed-
wide plans for each stream system in the City, working with
neighboring municipalities through watershed partnerships.
However, the City also outlines regulatory areas by sewer-
sheds and drainage areas. This allows the City to prioritize and
justify new green infrastructure projects based on intended
outcomes and for meeting the conditions of their National
Pollutant Discharge Elimination System and combined sewer
overfow (CSO) requirements.
Philadelphia is trying to institutionalize green infrastructure as
standard practice in all development projects as well as capital
improvement projects undertaken by city agencies. Citywide
policies, such as Green Plan Philadelphia, the Green Roof Tax
Credit and the Green Streets program support the widespread
creation and preservation of functional green spaces on both
publicly and privately owned land. From sewershed demon-
strations to stormwater fee discount programs, more and more
opportunities exist for landscape architects to be a central
part of the planning and design of private and public projects
throughout Philadelphia.
Drivers: Asset Management and Smart
Investment
The Philadelphia Water Department (PWD) emphasizes th
role that green infrastructure can play in extending the serv
of existing stormwater infrastructure. The City expects to
e
ice
save money on the cost of maintaining pipe networks and
treatment plants by removing fow from these systems. PWD
plans to increasingly invest in decentralized green infrastruc-
ture that minimizes runoff where possible and otherwise
manages it at the source. In addition, PWD implements green
infrastructure as an acceptable method for meeting Clean
Water Act goals. Currently, green infrastructure implemen-
tation is in the demonstration phase, in which projects are
designed and monitored.
Although permit compliance prioritizes green infrastructure
performance for aquatic habitat health and water quality, a
core goal of creating more green roofs, rain gardens and street
swales is to improve the quality of life for residents and visi-
tors by retroftting dense urban areas and restoring the state
of waterways that have long been destroyed by heavy fows,
trash and other impacts of urban runoff. A green infrastruc-
ture approach allows Philadelphia to integrate goals for
land, water, community and infrastructure, making it a smart
investment with multiple benefts.
Impervious-Based Billing
The stormwater billing system is being revised in Philadelphia
to create a more equitable fee structure by using a parcel-
based system that more closely refects the costs for managing
stormwater from each property. Rates will be set by deter-
mining the amount of a propertys impervious cover and
thereby the amount of runoff a property will generate. As a
result, 80 percent of the Citys new stormwater fee is based
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
50
upon a propertys impervious area, with the remaining 20
percent based upon the propertys gross area. In this way,
stormwater fees will reach non-metered customers such as
vacant lots, parking lots and utility right-of-ways that account
for signifcant impervious space (and stormwater runoff)
within the City.
Philadelphia offers a stormwater fee discount up to 100
percent of the impervious area charge, gross area charge or
both for customers who reduce impervious cover using green
infrastructure practices, including rain gardens, infltration
trenches, porous pavements, vegetated swales and green
roofs. If a property is retroftted with any of these features, the
PWD will re-calculate that propertys stormwater fee based
on the 80/20 impervious/gross area formula.
By creating simple fnancial incentives for developers to
reduce site imperviousness, the City is getting the develop-
ment community to build green infrastructure projects that
will help achieve citywide goals for watershed improvements,
food mitigation and community amenities.
Revised Stormwater Regulations
One of the key features of Philadelphias updated storm-
water regulations is that they encourage urban infll through
exemptions for redevelopment projects. Focusing devel-
opments in vacant or infll areas helps to reduce the total
imperviousness throughout the region. Additionally, on-site
stormwater management with vegetated systems will provide
a range of benefts beyond just water quality improvements.
Implemented in January 2006, these new regulations apply
to all developments resulting in earth disturbance of 15,000
square feet or more. Redevelopment projects may be exempt
from Channel Protection and Flood Control Requirements if
they can reduce directly connected impervious area by at least
20 percent. In effect, most developers now build on infll lots
instead of undeveloped, natural areas. Most redevelopment
projects reach the 20 percent reduction by any of the approved
methods that count as Disconnecting Your Impervious Area,
such as disconnecting downspouts, pavement disconnection,
tree canopy increase, impervious cover decrease, green roofs
and porous pavements.
The success of the new stormwater regulations are contin-
gent upon the fact that PWD requires projects to get concept
approval for water, sewer and stormwater before zoning
permits are considered. This early requirement for stormwater
design approval results in better decentralized stormwater
management systems that work with the natural hydrology of
the site.
Implementation
In 20062007, the frst year of the new stormwater regu-
lations, the City saw over one square mile built out with
low-impact development features. These practices, when fully
built out, will manage most one-inch storms, reducing CSO
inputs by 25 billion gallons, which PWD estimates will save
the City $170 million. The success of this program has helped
create political and public support for integrating green infra-
structure throughout the City.
However, Philadelphia is not relying on stormwater regula-
tions alone to create more green projects. As the fgure below
shows, stormwater regulations only result in 20 percent of
the total land served by land-based controls, and that 20
Figure 1: Philadelphias new impervious-based fee encourages retrots of
large impervious sites, such as the Wissahickon Charter School (above),
which now intercepts all parking lot runoff with rain gardens.
51
Case StudyPhiladelphia, PA
percent is only reached after
the regulations have been in
place for 20 years. In effect,
Philadelphias program
includes policies and projects
that also address public lands,
streets, vacant properties and
waterfront separation. From
fnancial incentives and assis-
tance for retrofts to internal
policies for increased use of
green infrastructure prac-
tices, Philadelphia is using a
range of regulatory and non-
regulatory approaches to make
economic, environmental and
community improvements
with green infrastructure.
18,000
Stormwater
Service Charges
and Incentives
Stormwater
Regulations
T
o
t
a
l

C
S
O

V
o
l
u
m
e

(
M
G
/
y
r
)
Percent of Impervious Area served by Land Based Controls
Baseline 10% 20% 30% 50% 60% 40% 70% 80% 90% 100%
16,000
14,000
12,000
10,000
8,000
6,000
4,000
2,000
0
Public Parcels
Vacant Lands
Green Streets
Alley Program
Waterfront Planning
and Development
Special Service
Districts
Figure 2: Philadelphias approach to converting different land use types to include green infrastructure for
managing stormwater. Graph courtesy of Philadelphia Water Department.
53
Case StudyPortland, OR
Green Infrastructure
Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
Portland, Oregon CA S E S TUDY
Overview
Portland, Oregon, is often cited as the prime example for
green stormwater management, and with good reason.
Portland has one of the most mature and comprehensive green
infrastructure programs in the country, with multiple overlap-
ping policies and programs that have seen several iterations
over time to become as well established and successful as
they are today. The City has taken the initiative, and to some
degree, the risk, necessary to implement a citywide program.
In addition to substantial combined sewer overfow (CSO)
tunnel costs (total costs to sewer ratepayers is estimated at
$1.4 billion), Portland is investing in green infrastructure,
in part to offset costs for major gray infrastructure. The City
considers its $9 million investment in green infrastructure to
save ratepayers $224 million in CSO costs, such as in main-
tenance and repair costs. But on top of the direct stormwater
benefts, Portland sees a number of additional benefts whether
for Coho salmon and Steelhead trout or for residents in
neighborhoods with Green Streets and Watershed Stewardship
Grant projects. The array of policies listed above attest to the
fact that Portland considers stormwater a resource to highlight
rather than a problem to quickly remove.
Build Out and Practices Used
Technologies as varied as planters, rain gardens, swales,
porous paving, rainwater harvesting, green streets and discon-
nected downspouts are found in abundance and with good
representation throughout Portland. These practices are found
in a range of settings, including parking lots, apartment build-
ings, schools, private businesses, government offces and
in public spaces like parks and riverside esplanades. Again,
the multiplicity of policies, from requiring on-site manage-
ment for public and private development to incentive-based
programs for homeowners and developers, has resulted in
innovation in design and function.
Portlands Downspout Disconnection Program targets
homes and small businesses in the combined sewer areas
and provides a great opportunity for public education about
stormwater and CSOs. This is in addition to the direct beneft
of having 56,000 properties with disconnected downspouts,
resulting in 1.2 billion gallons of stormwater kept out of the
combined sewer system since 1994. Portlands Clean River
Rewards, or stormwater charge discount program, has seen
over 35,000 participants, including both residential and
commercial property owners. These discounts have resulted
in $4 million in retroactive credits for properties with low-
impact development (LID) already in place at the programs
inception and another $1.5 million in discounted fees for
newly participating properties.
Figure 1: Tanner Springs Park in Portland, Oregon, features
a 5,300 square foot pond fed by rainwater captured from the
entire park.
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
54
Portland effectively blends regulations with incentives. Where
local codes and ordinances can make a difference, they are
employed. But for existing properties or for more immediate
results, other programs have been created, including grants,
incentives and discounts.
Requiring Green Infrastructure
Portlands current Stormwater Management Code and Manual
outline the requirements that apply to all projects within the
City of Portland, whether public or private. All projects devel-
oping or redeveloping over 500 square feet of impervious
surface, or existing properties proposing new stormwater
discharges off-site, are required to comply with pollution
reduction and fow control requirements. Projects of any size
must meet the Destination/Disposal Requirement, which
includes a hierarchical system designed to mimic predevel-
oped hydrologic conditions by requiring on-site infltration
wherever practicable:
1. On-site infltration with a surface infltration facility.
2. On-site infltration with a public infltration sump system,
private drywell or soakage trench.
3. Off-site fow to drainageway, river or storm-only
pipe system.
4. Off-site fow to a combined sewer pipe system.
Green Streets
Portlands Green Streets Program is a cross-bureau policy
adopted by the City Council in 2007 to incorporate the use
of green street facilities in public and private development to
achieve a range of benefts:
Handles stormwater on site through use of vegetated
facilities.
Provides water quality benefts and replenishes ground-
water (if an infltration facility).
Creates attractive streetscapes that enhance neighborhood
livability by enhancing the pedestrian environment and
introducing park-like elements into neighborhoods.
Meets broader community goals by providing pedestrian
and, where appropriate, bicycle access.
Serves as an urban greenway segment that connects neigh-
borhoods, parks, recreation facilities, schools, main streets
and wildlife habitats.
Green Streets are a citywide priority that formalizes the
process to overlay multi-bureau project plans and scheduled
Capital Improvement Program (CIP) projects to identify how
LID can be incorporated into plans for new streets and retro-
fts. By locating the overlap of goals and benefcial outcomes
of vegetated stormwater systems in the right-of-way, Green
Streets have been institutionalized into citywide policies
and funding.
Tours, Signage and Public Outreach
Portland Bureau of Environmental Services has several pre-
designed walking and cycling tours that encourage residents
and tourists to explore the range of ecoroofs, stormwater
projects and green streets locations in the City. The signage
and descriptions that accompany these facilities engage the
public to be more aware and knowledgeable about the role of
stormwater in the urban setting. They also provide demonstra-
tions for practitioners and professionals in landscape architec-
ture, engineering and other relevant felds.
Figure 2: Portlands rst Green Streets project at NE 35th and
Siskiyou features curb cuts, bump outs and swales.
55
Case StudyPortland, OR
Floor Area Bonus for Roof Gardens
and Ecoroofs
The Floor Area Bonus for Roof Gardens and Ecoroofs
increases a buildings allowable area in exchange for adding
an ecoroof. This incentive program has produced an estimated
$225 million in additional private development at 11 partici-
pating sites. The program has stimulated ecoroof develop-
ments and added to the more than 120 ecoroofs in the City.
This kind of local development incentive stimulates LID
designs and practices while also encouraging further market
development for green infrastructure.
Community Watershed Stewardship Grants
Community Watershed Stewardship Grants provide technical
assistance and fnancial support and foster partnerships for
community-initiated projects to improve watershed health.
Projects have included ecoroofs, parking lot swales, habitat
restoration and downspout disconnects. Between 1995 and
2005, the program awarded 108 grants in all subwatersheds
around the City, engaging more than 27,000 citizens. This
widespread community engagement and on-the-ground neigh-
borhood improvements foster a larger support network for
green infrastructure policies while also resulting in context-
sensitive solutions that are both instigated and maintained by
local stakeholders.
Clean River Rewards
Clean River Rewards discount stormwater user fees up to 100
percent of the on-site stormwater management services and
up to 35 percent of the total stormwater bill. Fee reductions
are calculated based on the extent and effectiveness of prac-
tices to limit fow rate, pollution and disposal. Participation
is expected to reach 110,000 of the 176,000 ratepayers in
Portland. Since October 2006, 14,000 registrations have
been processed.
Implementation
Monitoring and learning from demonstration projects was a
key element in the early stages of implementing new poli-
cies for managing stormwater with vegetated systems. This
iterative process of addressing the requirements for municipal
separate storm sewer systems and combined sewer systems,
while also demonstrating LID approaches, helped Portland to
establish one of the most mature and functional hybrid storm-
water systems in the United States.
The learning curve for practitioners, including local engi-
neers and developers as well as internal city staff such as
permit reviewers and inspectors, can slow the process of
transitioning from a purely piped system to a hybrid system
that includes natural drainage elements. However, as Tom
Liptan from BES has stated, the winning formula throughout
the initial stages of creating new policies was to identify
partners and start with small projects that can then evolve
into offcial policy.
57
Case StudySan Jose, CA
Green Infrastructure
Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
San Jose, California CA S E S TUDY
Overview
Located south of the San Francisco Bay in the Silicon
Valley, San Jose is the third largest city in California and the
tenth largest city in the United States. Once a small farming
community, San Jose experienced rapid automobile-oriented
development from the 1950s1970s, growing to a population
of about 1 million today. San Joses approach to stormwater
management and green infrastructure is driven largely by
Federal and State regulations. To comply with the require-
ments of the Municipal Regional Stormwater Permit issued
by California to the City of San Jose and its neighbors, San
Jose has developed a comprehensive stormwater program,
including early integration of stormwater planning into the
development process, quantitative performance standards, and
the promotion of vegetation and infltration-based stormwater
controls. San Joses stormwater program is also unique in its
integration with smart growth objectives. As San Jose pursues
more compact, transit-oriented development, it has adapted
its stormwater program to accommodate and promote smart
growth projects.
Regulatory Drivers
The California Regional Water Quality Control Boards
(RWQCBs) develop and administer stormwater permits for
municipalities in California. The stormwater permit issued
by the San Francisco RWQCB to San Jose and 77 of its
neighbors is particularly progressive in addressing the source
of water quality impairments. The Municipal Regional
Stormwater Permit supplements qualitative requirements with
quantitative performance standards, which assures devel-
opment that is protective of water quality, while allowing
developers signifcant fexibility. In San Jose, all new devel-
opment or redevelopment projects that create 10,000 square
feet or more of impervious surface are required to comply
with a set of low impact development (LID) requirements,
supplemented by more quantitative numeric sizing criteria.
The volume-based standard requires the stormwater controls
to capture either the 85th percentile 24-hour storm event, or
80 percent of the volume of annual runoff; the fow-based
standard requires stormwater controls to treat a certain fow
rate. These standards apply to both building and road projects,
requiring the management of runoff generated throughout the
built environment.
Site Design, Source Control, and Treatment
Control
San Jose has built upon the framework provided by Federal
and State regulations by adopting policies that require early
integration of stormwater planning into the development
process, and promotes vegetation and infltration-based
approaches to stormwater management. Recognizing that
much of a projects impact on runoff rates and volumes is
determined by site design and grading plans, the City of
San Jose developed an Urban Runoff Management Policy
that requires developers to demonstrate compliance with
performance standards early in the planning process. Before
development applications are accepted, all new development
or redevelopment projects that meet the impervious surface
thresholds defned in the Municipal Regional Stormwater
Permit must submit a Stormwater Control Plan. Stormwater
Control Plans must illustrate how the project will integrate
site design, source control measures, and treatment control
measures to comply with appropriate performance standards.
The San Jose Department of Planning reviews development
applications before granting permits, and inspects approved
projects during construction to verify compliance.
Developers are encouraged to minimize impervious surface
to reduce the generation of stormwater runoff, and to treat
any runoff generated with vegetative swales, bioflters or
other landscape-based infltration features. These measures
are recommended not only because of their environmental
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
58
performance, but also because they are cost-effective and
require limited maintenance. The Urban Runoff Management
Policy also includes a unique provision to promote tree
planting. The policy indicates that new trees planted within
30 feet of impervious surfaces can receive credit as post-
construction treatment control measures.
Integration with Smart Growth
The City of San Jose views its green infrastructure and smart
growth objectives as complementary. Smart growth policies
can advance the water quality objectives of green infrastruc-
ture by directing development toward existing buildings and
infrastructure and preserving undeveloped land. Similarly,
green infrastructure policies can advance the community revi-
talization objectives of smart growth by increasing the urban
tree canopy and vegetation and creating more livable commu-
nities. To accommodate the higher density of impervious
surfaces in smart growth projects, San Jose provides credit for
smart growth projects towards its Urban Runoff Management
requirements. At the discretion of city staff, smart growth
projects that can treat runoff on site may be designated water
quality beneft projects, and are not required to contribute to
regional or off-site treatment.
Implementation
Developers have responded to San Joses Urban Runoff
Management requirements with a variety of innovative
stormwater management techniques. Perhaps the most effec-
tive element of San Joses stormwater management policy is
the 10,000 square foot threshold for new development and
redevelopment. Because projects that create less than 10,000
square feet of impervious surface are exempt from the Urban
Runoff Management requirements, developers are fnding
creative ways to reduce impervious surface, including: narrow
streets, shared driveways, vegetated swales and pervious
pavement. Planning staff generally review over 300 plans
per year, and around 90 percent of these projects are able to
reduce their total imperviousness below the 10,000 square
foot threshold.
San Joses stormwater policies are also promoting the expan-
sion of urban green space. Many projects apply for the tree
credit, which includes planting new trees and expanding the
urban tree canopy. This range of incentives helps to ensure
that as San Jose increases density in already developed areas,
these neighborhoods are gaining the beneft of green infra-
structure practices.
Figure 1: Guadalupe River Park in San Jose, California, features green
infrastructure systems alongside dense downtown redevelopment. Photo
courtesy of Michael Patrick via Flickr: http://www.ickr.com/photos/
michaelpatrick/ 2408259482/.
59
Case StudySanta Monica, CA
Green Infrastructure
Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
Santa Monica, California CA S E S TUDY
Overview
The City of Santa Monica, California, is located on the
Santa Monica Bay and is surrounded on the other three
sides by the City of Los Angeles. Water quality is central
to Santa Monicas economy and community because of its
beachfront location. With a population of around 87,000
and just over 8 square miles of land, Santa Monica is a very
high density city that must manage stormwater runoff from
impervious surfaces, as well as dry-weather runoff from car
washing, overwatering of landscapes, and other non-wet
weather events.
Santa Monica uses various forms of green infrastructure to
manage both dry-weather and wet-weather runoff, including
pervious pavements, water-wise landscaping, and rainwater
harvesting. Santa Monica uses regulations, incentives and
public education campaigns to integrate green infrastructure
into streets, parks and private properties. Santa Monicas
green infrastructure efforts are supported by the Sustainable
City Plan, which provides a framework for the use of storm-
water management practices that both limit potable water use
and manages runoff on site.
Drivers: Beach and Water Quality Protection
As a beach community, Santa Monica more than doubles its
population each day as tourists and workers enter the City.
Urban runoff is the largest contributor of pollutants entering
the beach and nearby waters, and threatens the economic
viability and community amenities of this beach-side commu-
nity. The Citys Offce of Sustainability and the Environment
states that, a cleaner bay means a healthier marine ecosystem
and improved quality of life for residents, and increases Santa
Monicas appeal to visitors and businesses.
1
Figure 1: This commercial site includes parking lot swales to bioinltrate
impervious surface runoff.
In response to regulatory responsibilities, such as EPAs
National Pollutant Discharge Elimination System and Total
Maximum Daily Loads for trash and bacteria, Santa Monica
adopted a Watershed Management Plan in 2006 to protect and
improve the water quality of Santa Monica Bay. The plan lays
out the following priorities to balance urban land use with
ecosystem function:
1. Reduce urban runoff pollution
2. Reduce urban fooding
3. Increase water conservation
4. Increase recreational opportunities and open space
5. Increase wildlife and marine habitat.
Green Infrastructure Policies
Santa Monica meets these watershed management goals with
a stormwater management ordinance, stormwater fee, rebate
program and capital improvement projects.
1
http://www.smgov.net/departments/ose/categories/urbanRunoff.aspx
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
60
Stormwater Management Ordinance
Santa Monicas stormwater ordinance provides water quality
guidelines for existing properties and new construction sites
to reduce the level of pollutants leaving the site. It requires
all newly developed or retroftted parcels to manage the frst
0.75 of runoff from impermeable surfaces, which accounts
for approximately 80 percent of storm events annually.
The City provides waivers for impracticability based on
space constraints, soil type or groundwater contamination
concerns, but requires developers to pay an appropriate
mitigation fee. This in-lieu fee is then used to fund larger
city projects to retroft streets, parks and other sites to better
manage urban runoff.
Stormwater Fees
Santa Monica has two stormwater parcel fees, the Stormwater
User Fee and the Clean Beaches & Ocean Parcel Tax, that are
used to implement the watershed management program and
that support compliance with Federal and State Clean Water
Act regulations. The fees are paid annually by all property
owners and are assessed through property taxes. In 2009 and
2010, the fees together generated around $3.9 million a year.
Rebate Program
Santa Monica offers four rebates for private property owners
to encourage rainwater harvesting.
1. The Rain Gutter Downspout Redirect Rebate provides up
to $40 per qualifed downspout that redirects downspout
runoff to permeable and/or landscaped surfaces. All down-
spouts on a given property can qualify for the $40 rebate,
which is meant to cover both labor and material costs.
2. The Rain Barrel Rebate provides property owners $100
per barrel with a capacity of up to 199 gallons and covers
costs for design, labor and materials.
3. The Small Cistern Rebate offers up to $250 per cistern
with a capacity of 200 to 499 gallons and covers costs for
design, labor and materials.
4. The Large Cistern Rebate offers up to $500 per cistern
with a capacity of more than 500 gallons and covers costs
for design, labor and materials.
Figure 2: Santa Monica offers rebates for water harvesting and reuse to
help reduce the amount of polluted urban runoff that reaches the beach.
Capital Improvement Projects and Streets
Santa Monicas Watershed Management Plan explicitly calls
for interagency partnerships on capital improvement projects
undertaken by the Planning and Community Development
Department, the Open Space Management Division and the
Housing and Redevelopment Division. Because Santa Monica
is a relatively small city, incorporating green infrastructure
into all capital improvement projects is as simple as working
with the urban runoff manager who can review plans, make
recommendations and later conduct inspections. The City has
retroftted several existing streets and parking lots to include
porous pavement and bioinfltration areas, such as Bicknell
Avenue. This project reduced the overall street width by 16
feet and retroftted the parking lane with pervious pavers to
infltrate runoff from the street. The redesign also calls for
12-foot wide bioflter swales on either side of the street to
further manage roadway runoff.
61
Case StudySeattle, WA
Green Infrastructure
Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
Seattle, Washington CA S E S TUDY
Overview
The City of Seattle, located on the Puget Sound in
Washington State, boasts many successful green infrastruc-
ture projects and policies, many of which started out as pilot
programs and grew to have a much broader application and
impact. Seattles approach includes several internal policies
to require green infrastructure in public property standards,
such as for street designs and capital project plans. At the
same time, Seattle leverages its control of local codes and
development policies to encourage and require green infra-
structure on private property.
Seattle Public Utilities (SPU) is the local agency responsible
for meeting National Pollution Discharge Elimination System
permit requirements and it coordinates the Citys Natural
Drainage System (NDS) approach, which supports the use
of green infrastructure at the site level and in terms of larger
development planning and design.
SPU has made strategic decisions about using demonstra-
tion projects, such as the original 2
nd
Avenue Street Edge
Alternatives (SEA) Street or the Seattle Green Factor,
1
to
introduce new policies or methods for implementing green
infrastructure. Many of the lessons learned from these earlier
and easier projects are now being transferred to the rest of the
City, including more challenging and highly urbanized areas.
Drivers: Sensitive Water Bodies
and Community Assets
In Seattle, as with most communities around the Puget Sound,
the primary motivation for new stormwater management
methods lies in protecting aquatic biota and creek channels
as well as improving overall water quality. Coho salmon
still thrive in many creeks of the Pacifc Northwest, but their
future health is at risk and has become a high priority for both
residents and regulators. SPU takes a demand management
approach by investing public resources in areas of the City
with the most sensitive sub-basins and creeks, using practices
that infltrate stormwater runoff into soils, which treats water
for pollutants and recharges waterbodies slowly through
groundwater recharge.
Seattle also chooses to use green infrastructure systems, often
in the public right-of-way, in areas where surface vegetation
not only manages stormwater but also adds visible commu-
nity amenities. The Seattle Green Factor was originally
developed for commercial cores and requires that property
owners achieve 30 percent parcel vegetation using a defned
set of weighted practices including green roofs, permeable
paving and green walls that are highly visible. This weighted
system refects Seattles emphasis on a range of benefts for
the environment and for the community.
Figure 1: Seattle Green Factor requires landscaping features with storm-
water management benets.
1
Seattle Green Factor: http://www.seattle.gov/dpd/Permits/GreenFactor/Overview/
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
62
Stormwater Code
In the past fve years, SPU has revised the Citys
Comprehensive Drainage Plan to address fooding and water
quality needs through green infrastructure source controls and
to establish a long-term schedule of both capital improve-
ment and operating programs. The City of Seattles existing
Stormwater, Grading and Drainage Control Code provides
guidance for fow control and water quality treatment using
green infrastructure practices.
In the past, Seattle has enjoyed support from the development
community because State requirements were so strict that they
wanted cheaper ways to meet standards and found that green
infrastructure offered cost savings, often through avoided
gray infrastructure investments. However, Washington States
Ecology Department has recently updated the state NPDES
permit to require the use of practices that manage stormwater
on site and limit on-site imperviousness.
1) Redevelopment
Seattle is in the process of revising and updating the
Stormwater Codes and Manuals that address new and redevel-
opments. This update coincides with the new NPDES Phase I
permit and requirement by the Washington State Department
of Ecology to comply with their statewide manual for
developers. The new code will require an analysis of green
infrastructure as a frst evaluation in site design for all new
and redevelopment plans. A fee-in-lieu policy is incorporated
into this code revision that will allow developers to pay a
fee in place of using detention vaults for fow control. The
fee amount is determined through the normal cost evaluation
methods for sizing vaults. SPU intends to use income from
these fees for specifc basin restoration or for salmon-bearing
creeks, as well as for incorporating green infrastructure prac-
tices into major capital improvement programs.
With assistance from the consulting frm Herrera, SPU has
identifed key steps to creating new policies and materials for
the following areas of stormwater management responsibility:
Source Control Manual
Stormwater, Grading and Drainage Control Code
Flow Control Manual
Rainwise Incentive Program
NPDES Phase I imposed by Ecology such as fow control
requirements for small site developments and accompa-
nying fow control technical manual.
The High Point redevelopment provides guidelines for
future construction of publicly- and privately-funded homes
that encourage sustainable design approaches. Using a
performance-based approach, the design meets the needs
of the client and infrastructure stakeholders, and serves an
ecological function. Most importantly, the High Point model
challenges beliefs that dense urban design and ecological
performance are mutually exclusive. The City stormwater
code and the High Point redevelopment project confrm
Seattles environmental commitment for sustainable develop-
ment to maintain a high quality of life.
2) Roads
Recognizing the contribution that streets make to overall
imperviousness, the City of Seattle focuses considerable staff
and resources to its NDS Program. The central goals of an
NDS as an innovative approach to street design are to protect
aquatic organisms, protect creek channels and improve water
quality by slowing the fow and reducing the volume of
stormwater runoff. By retroftting and redeveloping public
rights-of-way to mimic predevelopment hydrologic processes,
projects like SEA Streets and High Point collect runoff from
nearby streets, roofs and other impervious surfaces to store
and treat it through vegetated systems.
3) Retrots
Rainwise Incentives Program
Much of Seattles land area is privately-owned properties
that contribute to water quality, fow control and convey-
ance issues. Runoff from residences and businesses results
in degraded watersheds or fooding problems downstream,
where SPU invests in capital project solutions. The Rainwise
Incentive Program is a customer stewardship program to
encourage private property owners to manage stormwater
fows on site.
2
Through educational materials and low cost
incentives, such as guides, workshops and discounted utility
2
RainWise Incentive Program: https://rainwise.seattle.gov/systems/water
63
Case StudySeattle, WA
costs, SPU hopes to see customers using on-site management
techniques, as listed below, to protect both public infrastruc-
ture and the environment:
Rainwater cistern
Downspout disconnect
Rain garden
Rock-flled trench
Porous pavement
Trees
Compost and mulch.
SPU is also investing in a Roadside Raingarden project and
providing residential incentives for rain gardens and cisterns
in the Ballard neighborhood.
3

4) Capital Improvement Program (CIP) Projects
The City of Seattle makes a clear connection between the
use of green infrastructure for stormwater management and
overall asset and demand management for all SPU sewer
and drainage systems. Most major capital projects within
the City, even managed by other agencies, include consid-
eration for incorporating low-impact development (LID)
and thereby gaining the multiple benefts afforded to SPUs
assets, regional environmental quality and quality of life for
Seattle residents.
SPUs specifc asset management approach enables the utility
to meet agreed-upon customer and environmental service
levels at the lowest cost, considering full life-cycle costs, by
investing in maintaining and replacing its multi-billion dollar
infrastructure. Although conventional methods for managing
stormwater can be readily calculated for costs, benefts and
risks, natural drainage designs with vegetation are still being
considered to relieve traditional systems, despite less predict-
ability for cost-beneft analyses.
An example of LID in CIP projects is the Alaska Way
Viaduct Project. The Viaduct is an elevated highway retroft
along the waterfront in downtown Seattle. The Washington
Department of Transportation (WDOT) is responsible
for a new plan to replace the existing highway structure.
Despite no current plans for the Viaducts retroft, the Seattle
Department of Planning and Development (DPD) will be
working with WDOT to include low-impact development
features as part of this multi-billion dollar capital improve-
ment project. Another major project is the 520 Floating
Bridge over Lake Washington, which costs more than $1
billion. Demand Management, which is a component of
Asset Management approach, incorporates LID into all
these other CIP Projects. Rick Johnson with Seattle DPD is
currently working on a document to package how LID can
be incorporated into all these bigger projects.
Imlementation
As stated on SPUs Web site, NDS cost about 10 to 20
percent less than traditional street redevelopment with curb,
gutter, catch basins, asphalt, and sidewalks, in large part
because SPU was improving chip and seal streets that
lacked underground infrastructure. For more developed parts
of town within the combined sewer area, total costs are not
as predictable.
NDS projects include SEA Streets, the Broadview Green Grid
Project, 110th Cascade Project, Pinehurst Green Grid Project
and High Point Project in West Seattle. The great achieve-
ment of these projects was fnding a way to implement LID
into street rights-of-way and reduce overall imperviousness of
roadways. Most of these projects are located in the northern
neighborhoods of Seattle, which is much less dense than
downtown portions of the City.
The next phase of demonstration and monitoring will be an
extensive project to minimize downtown parking spaces and
test the application of green infrastructure in an ultra-urban
setting with a combination of green roofs, right-of-way appli-
cation and methods to treat and release stormwater.
3
Ballard Roadside Raingardens: http://www.seattle.gov/util/About_SPU/
Drainage_&_Sewer_System/Plans/CombinedSewerOverowReductionPlan/
BallardRoadsideRaingardens/index.htm
65
Case StudyStafford County, VA
Green Infrastructure
Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
Stafford County, Virginia CA S E S TUDY
Overview
Stafford County, Virginia, is located in the Metropolitan
Washington DC Region and has experienced an estimated 30
percent population increase from 2000 to 2007. This fast-
growing County faces the challenge of new residential and
commercial development that creates additional runoff from
roads, parking lots and roof tops. The Stafford County Public
Works Department is responsible for complying with National
Pollutant Discharge Elimination System (NPDES) permits.
The NPDES frst introduced on-site green infrastructure, or
low-impact development practices, as an option for meeting
stormwater requirements on new developments. After success
and experience implementing green infrastructure through
voluntary measures, Stafford County then included green
infrastructure practices, to the maximum extent practicable,
on all new developments. Stafford County does not have
complete jurisdiction over local subdivision ordinances
or street right-of-way design standards, and is therefore
limited in the types of impervious surfaces they can impact
through code and ordinance updates. The County focuses
instead on areas where it does have authority, such as adding
green infrastructure on County-owned land and reaching
out to existing property owners and developers to educate
them on green infrastructure practices for meeting local
stormwater requirements.
Drivers
Stafford Countys efforts to incorporate green infrastructure
countywide are motivated by a mix of fooding concerns and
water quality protection needs. The County is responsible
for protecting residential and business properties from food
damage. Past food events have led to a greater concern with
standing water, high water in ditches and on roads and other
negative impacts from large amounts of stormwater runoff.
This greater awareness of the role and impact of stormwater
in a community have helped Stafford County build support
for a stormwater management and overall drainage system
that encourages the use of natural systems.
In addition, Stafford Countys stormwater program is
responsible for complying with the Virginia Stormwater
Management Regulations and must also meet the require-
ments of the Countys Phase II NPDES permit. The Virginia
Department of Conservation and Recreation controls how
stormwater is managed on state and federal property, but
allows localities, including counties, the option to establish
a locally-appropriate stormwater management program for
private properties. Although streets and other land uses can
contribute large amounts of impervious surfaces, the state
controls subdivision ordinances, as well as street runoff and
road width requirements. As a result, the County largely
focuses on encouraging and requiring private property owners
to use natural drainage systems to minimize impervious
surfaces and manage runoff.
Figure 1: Bioretention areas, like the one in this parking lot, are commonly
used in Stafford County to meet local stormwater requirements.
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
66
Policies
While many communities similar to Stafford County have
only recommended or allowed the use of green infrastructure
practices, such as bioretention and permeable pavements, in
2003, Stafford County began requiring on-site approaches
that are supported by local development ordinances, manage-
ment agreements, design and construction guidelines and
public outreach and education material. This full set of policy
approaches has enabled the County to ensure greater imple-
mentation and compliance with the stormwater code.
Stafford County worked with multiple stakeholders in
developing its ordinances. County staff worked with a
local conservation nonproft, Friends of Rappahannock, to
hold a roundtable on better site design, which resulted in a
committee to update the stormwater code. The committee
included several state agency representatives, including staff
from the Virginia Department of Transportation, local devel-
opers, and representatives from Friends of the Rappahannock.
This process resulted in a new stormwater ordinance and
a design manual that was approved by the County Council
in 2003, and included requirements for using low-impact
development on private lots, relaxed regulations for curbs and
gutters in all new subdivisions and an allowance for low-
impact development practices to meet county landscaping
requirements. In addition, stormwater management concept
plans are now required to be approved much earlier in the
larger plan and design process. These actions combine to form
a comprehensive set of rules and guidance that private devel-
opers and landowners can use to incorporate natural systems
to reduce runoff and manage stormwater on site.
Implementation
The County has found that almost 95 percent of developers
are using bioretention, including rain gardens, as the primary
method of on-site management to meet the stormwater
requirements. The widespread use of a single practice may
be due to the fact that bioretention design is perceived to be
easier to technically justify as meeting impervious surface
management requirements than other methods. In addition, it
has become the commonly accepted method, and might offer
greater assurance of plan approval for developers.
Homeowners in Stafford County are also retroftting existing
yards with rain gardens. Many houses in Stafford have
one to three lots and can more easily design and imple-
ment rain gardens to manage runoff from roofs, driveways
and sidewalks.
In 2004, Stafford County retroftted the Stafford County
Administration Center parking lot to include bioretention
to manage impervious surface runoff. The retroft added
water quality treatment measures and provided an important
publicly-funded demonstration for developers and citizens.
Figure 2: A rain garden in Stafford County, Virginia, limits runoff that
leaves the site and enters nearby streams.
67
Case StudyWilsonville, OR
Green Infrastructure
Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
Wilsonville, Oregon CA S E S TUDY
Overview
Wilsonville, Oregon, is located along the Willamette River
at the southern edge of the Portland metropolitan area. The
population of Wilsonville is around 17,000 and has experi-
enced rapid growth in the last 10 years. Most of the City of
Wilsonville lies within the Portland Metro Urban Growth
Boundary,
1
which limits development on farm and forest land
and supports effcient use of land, infrastructure and services
within existing urban areas.
Wilsonvilles land use and stormwater management poli-
cies work together to balance increased density of land use
with natural resource protection. The City initiated its green
infrastructure efforts by working with private development
projects to test the construction and performance of green
infrastructure practices, along with the feasibility of requiring
and enforcing on-site management practices like permeable
pavers, ecoroofs and bioswales. Wilsonville built on initial
lessons and now incorporates green infrastructure approaches
into capital projects and a range of other codes and ordinances
that apply to new development projects.
Drivers
Wilsonvilles green infrastructure planning and projects came
in the context of Portland Metros long-standing support and
outreach about the value of open space preservation, smart
growth and green streets for balancing environmental and
community development goals. Wilsonville was also moti-
vated largely by a need to update and revise the outdated
comprehensive plan, including future urban expansion and
stormwater system needs. Furthermore, fnancial analyses
on the costs of new stormwater infrastructure, as well as on
meeting state and federal Clean Water Act requirements, set
the stage for improved management approaches that would
provide multiple benefts across city departments and to the
general public.
Green infrastructure projects are prioritized in Wilsonvilles
Stormwater Master Plan because they can provide multiple
benefts for pollutant treatment, fow control, groundwater
recharge and landscaping for aesthetic improvements. Local
capital investments emphasize projects to restore streams and
protect or enhance wetlands and buffer areas. Other capital
projects within the Master Plan focus on retroftting existing
impervious surfaces such as streets and parking lots to include
vegetated practices that infltrate runoff on site.
Pilot Project
When the City began plans in the 1990s to redevelop a nearly
500-acre property into a mixed-use village center called
Villebois, city staff recognized that the codes and infrastruc-
ture plans created for this large site could be a testing ground
Figure 1: The City of Wilsonville worked with developers to monitor the
performance of new green infrastructure techniques, like this planter box,
before establishing development standards for on-site management.
1
Portland Metro Council: http://www.metro-region.org/
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
68
for future development code changes that apply citywide.
Before the City fnalized design requirements for the full
development, the pre-project phase required the developer
to monitor, test and analyze the effectiveness of site-scale
green infrastructure, including porous pavement, bioreten-
tion cells and ecoroofs. This testing period also allowed city
staff to fgure out how well new stormwater management
requirements could be integrated with existing city and state
development codes. The pilot process resulted in updated
stormwater requirements that emphasized decentralized
management and that integrated well with transportation,
natural resources and parks and open space plans.
Policies
Natural Resource Protection
In 2010, the City adopted an updated Comprehensive Plan
that outlines measures to protect natural areas and introduce
new green infrastructure elements on development and retroft
sites. The 2010 Plan explicitly prioritizes the need to limit
the negative impacts new developments might have on local
water quality. The Plan emphasizes measures that improve
ground water infltration, add habitat value and provide other
benefts to community aesthetics:
Natural drainage systems, including streams and creeks,
must be preserved as open space to serve as primary
elements in the overall urban drainage system. This
includes protection against burying current natural
drainage systems into underground culverts or pipes.
Streams, swales and other open drainage systems can be
used to meet landscaping and open space requirements for
new developments.
Existing underground drainage ways must be restored or
daylighted to surface streams.
Site development plans must preserve or improve native
vegetation in identifed riparian zones and landslide-prone
areas to mitigate runoff.
Restoration of vegetation, including the removal of inva-
sive plants, may also be required depending on the type,
scale and location of development.
Figure 2: Decentralized stormwater management features, such as this
bioretention area in the Villebois project, collect runoff from rooftops, side-
walks, and yards for inltration into the ground below.
Capital Projects
System development charges and user fees are collected to
implement the Stormwater Master Plan, which identifes
key capital improvement projects that improve stormwater
quality and control the volume of runoff. Wilsonville requires
developers to pay a stormwater system development fee
before being issued a building permit. The revenues from
this development charge are used to implement large-scale
capital projects, such as stream restorations or green street
curb extensions. These capital investments support the overall
natural drainage throughout the community.
Implementation
Wilsonville protects functional open space at the community
scale and introduces new green infrastructure at the smaller
site scale. The City directs development charge revenues
toward capital improvement projects that protect healthy
waterways and restore degraded streams. At the same time,
Wilsonville created development requirements, with the
private sector as a key partner, which resulted in regulations
that are achievable, transparent and effective at comple-
menting large scale protections with site-level runoff mitiga-
tion and management.
69
Acknowledgements
Acknowledgements
This is a project of the Nonpoint Source Program within EPAs Offce of Wetlands, Oceans, and Watersheds. Abby Hall is the
principal author.
Case Study Interviewees:
1. Denise Andrews, Seattle Public Utilities, Seattle, Washington
2. Janet Attarian, Department of Transportation, Chicago, Illinois
3. Michael Beezhold, Department of Public Works, Lenexa, Kansas
4. Jill Bicknell, EOA, Inc., Oakland, California
5. Joyce Coffee, Department of Environment, Chicago, Illinois
6. Chris Crockett, Philadelphia Water Department, Philadelphia, Pennsylvania
7. Joanne Dahme, Philadelphia Water Department, Philadelphia, Pennsylvania
8. Ignacio Dayritt, Redevelopment Agency, Emeryville, California
9. Craig Doberstein, Herrera Environmental Consultants, Seattle, Washington
10. Linda Dobson, Bureau of Environmental Services, Portland, Oregon
11. Dionne Early, City of San Jose, California
12. Barry Fitz, Department of Public Works, Stafford County, Virginia
13. Andy Haub, Public Works Department, Olympia, Washington
14. Stephen Hofstetter, Environmental Protection Department, Alachua County, Florida
15. Steven Hubble, Department of Public Works, Stafford County, Virginia
16. Tom Jacobs, Mid-America Regional Council, Kansas City, Missouri
17. Rick Johnson, Seattle Public Utilities, Seattle, Washington
18. Diana Keena, Planning Division, Emeryville, California
19. David Leopold, Department of Transportation, Chicago, Illinois
20. Lisa Libby, Planning and Sustainability Director, Offce of Mayor Sam Adams, Portland, Oregon
21. Dick Lilly, Seattle Public Utilities, Seattle, Washington
22. Tom Liptan, Bureau of Environmental Services, Portland, Oregon
23. Peter Mulvaney, Department of Water Management, Chicago, Illinois
24. Howard Neukrug, Philadelphia Water Department, Philadelphia, Pennsylvania
25. Kerry Rappold, Natural Resources Program, Wilsonville, Oregon
26. Peter Schultze-Allen, Environmental Services, Emeryville, California
27. Neal Shapiro, City of Santa Monica, California
28. Dan Vizzini, Bureau of Environmental Services, Portland, Oregon
Reviewers:
1. Nancy Arazan, U.S. EPA Offce of Wetlands, Oceans and Watersheds
2. Paula Estornell, U.S. EPA Region 3 Brownfelds and Land Revitalization
3. Robert Goo, U.S. EPA Offce of Wetlands, Oceans and Watersheds
4. Jamal Kadri, U.S. EPA Offce of Wetlands, Oceans and Watersheds
5. Chris Kloss, Low Impact Development Center
6. Jennifer Molloy, U.S. EPA Offce of Wastewater Management
Green Infrastructure Case Studies: Municipal Policies for Managing Stormwater with Green Infrastructure
70
7. Kol Peterson, U.S. EPA Offce of Air and Radiation
8. Nancy Stoner, Natural Resources Defense Council(NRDC) Clean Water Project
9. Tracy Tackett, Seattle Public Utilities
10. Dov Weitman, U.S. EPA Offce of Wetlands, Oceans and Watersheds
11. Clark Wilson, U.S. EPA Development, Community and Environment Division
al Policies for Managing Stormwater with Green Infrastructure
72
Ofce of Wetlands, Oceans and Watersheds
Washington, DC 20460
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