Upcoming Events 2012

February 9 - LTAP Stormwater Drainage Conference

February 14 - Concrete Washout Training

February 23 - HEC-RAS Workshop, Session 3

March 12-16 - CPESC, CPSWQ, CESSWI, and CMS4S Review Courses

March 15- Operation Stay Afloat

March 17- CPESC, CPSWQ, CESSWI, and CMS4S Exams

March 27- CFM Refresher Course and CFM Exam

April 26 - IECA Roadshow - "Focus on Soil Stabilization"

May 17 - Indiana MS4 Annual Meeting

See the Calendar of Events for more information about these and other events

Email us at info@inafsm.net

INAFSM Position papers

Where does INAFSM Stand on the Issues?

Read the following documents, prepared by members of the INAFSM Board, to learn how we, as an organization, stand on legislative issues pertaining to floodplain and stormwater management.

POTENTIAL AMENDMENTS TO S. 2284  (View)

Summary: The Indiana Association for Floodplain and Stormwater Management (INAFSM) wishes to express its concern about potential amendments to S. 2284, which reforms the National Flood Insurance Program (NFIP) and reauthorizes the program that expires this year. Specifically, the INAFSM is opposed to any amendment that would add wind coverage to a NFIP policy.

MAINTAINING, IMPROVING AND ENFORCING THE INDIANA STATE FLOOD CONTROL ACT (View)

Summary: INAFSM believes that to continue the current policy of allowing development in the floodway, residential or otherwise, is to allow the lives and property of the citizens of the state of Indiana to be placed in harms way. The trend toward allowing more and more development in the floodway needs to be reversed and measures taken to restore the flood conveyance capacity of affected floodways to safe and satisfactory levels. Any negative economic impact on development in the state will likely be minor and would be more than offset by the decrease in life and property loss from flooding.

MAINTAIN INTEGRITY OF, IMPROVE AND ENFORCE INDIANA STATE STORMWATER QUALITY GENERAL NPDES PERMIT PROGRAM (View)

Summary: Maintain the existing NPDES Stormwater General Permit program in Indiana since it represents a solid middle ground to processing regulatory permits. The general permit presents no difference when compared to an individual permit for protecting water quality in the end and avoids an unreasonable expectation of resources and level of activity.