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<br /> <br />ADDITIONAL INFORMATION REGARDING <br />LETTERS OF MAP AMENDMENT <br />When making determinations on requests for Letters of Map Amendment (LOMAs), the Department of <br />Homeland Security’s Federal Emergency Management Agency (FEMA) bases its determination on the <br />flood hazard information available at the time of the determination. Requesters should be aware that flood <br />conditions may change or new information may be generated that would supersede FEMA's determination. <br />In such cases, the community will be informed by letter. <br /> <br />Requesters also should be aware that removal of a property (parcel of land or structure) from the Special <br />Flood Hazard Area (SFHA) means FEMA has determined the property is not subject to inundation by the <br />flood having a 1-percent chance of being equaled or exceeded in any given year (base flood). This does not <br />mean the property is not subject to other flood hazards. The property could be inundated by a flood with a <br />magnitude greater than the base flood or by localized flooding not shown on the effective National Flood <br />Insurance Program (NFIP) map. <br /> <br />The effect of a LOMA is it removes the Federal requirement for the lender to require flood insurance <br />coverage for the property described. The LOMA is not a waiver of the condition that the property owner <br />maintain flood insurance coverage for the property. Only the lender can waive the flood insurance purchase <br />requirement because the lender imposed the requirement. The property owner must request and receive a <br />written waiver from the lender before canceling the policy. The lender may determine, on its own as a <br />business decision, that it wishes to continue the flood insurance requirement to protect its financial risk on <br />the loan. <br />The LOMA provides FEMA's comment on the mandatory flood insurance requirements of the NFIP as they <br />apply to a particular property. A LOMA is not a building permit, nor should it be construed as such. Any <br />development, new construction, or substantial improvement of a property impacted by a LOMA must <br />comply with all applicable State and local criteria and other Federal criteria. <br /> <br />If a lender releases a property owner from the flood insurance requirement, and the property owner decides <br />to cancel the policy and seek a refund, the NFIP will refund the premium paid for the current policy year, <br />provided that no claim is pending or has been paid on the policy during the current policy year. The <br />property owner must provide a written waiver of the insurance requirement from the lender to the property <br />insurance agent or company servicing his or her policy. The agent or company will then process the refund <br />request. <br />Even though structures are not located in an SFHA, as mentioned above, they could be flooded by a flooding <br />event with a greater magnitude than the base flood. In fact, more than 25 percent of all claims paid by the <br />NFIP are for policies for structures located outside the SFHA in Zones B, C, X (shaded), or X (unshaded). <br />More than one-fourth of all policies purchased under the NFIP protect structures located in these zones. <br />The risk to structures located outside SFHAs is just not as great as the risk to structures located in SFHAs. <br />Finally, approximately 90 percent of all federally declared disasters are caused by flooding, and homeowners <br />insurance does not provide financial protection from this flooding. Therefore, FEMA encourages the <br />widest possible coverage under the NFIP. <br /> <br /> <br /> <br />LOMAENC-1 (LOMA Removal)