Croton-on-Hudson Conservation Advisory Council%E2%80%99s Position Statement
local law
4 pages
Meeting: portal event 927 (no meeting page on file)
Agenda item: Public Hearings — Public Hearing on Local Law Introductory No. 22 of 2023 to amend Chapter 230, Zoning, of the Village Code to update the provisions related to solar energy systems and establish provisions related to battery energy storage systems.
Local law, 4 pages. Attached to agenda item: “Public Hearings — Public Hearing on Local Law Introductory No. 22 of 2023 to amend Chapter 230, Zoning, of the Village Code to update the provisions related to solar energy systems and establish provisions related to bat”
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Also attached to this agenda item:
County Planning Board - Battery Energy Storage Systems
DRAFT 1 - Local Law Introductory No. 22 of 2023
DRAFT 2 - Local Law Introductory No. 22 of 2023...
December 20th Resolution 270-2023 LL Intro 22 of 2023...
EAF I Solar
Full EAF - Part 1
January 24th Resolution 11-2024 LL Intro 22 of 2023...
Local Law Solar CAF
Memo to Village Board from Planning Board - Local Law 22-2023
Model-Battery-Energy-Storage-Systems-Law
Updated Memo from WAC to VB Local Law 22
Extracted text
The Village of Croton-on-Hudson Conservation Advisory Council’s Position Statement on
Potential Updates to Solar Energy Laws, including NYSERDA’s Model Solar Energy and Battery
Energy Storage Laws
10/25/2023
Approved by CCAC 7-1 vote on 11/1/23
OVERVIEW
At the direction of the Board of Trustees, the Conservation Advisory Council has reviewed the
model Solar Energy and Battery Energy laws, as well as the Village’s existing law, and has prepared
this statement.
SUMMARY STATEMENT
The charge of the Conservation Advisory Council is the preservation of the Village’s existing
environmental assets. All of our existing environmental assets are threatened by climate change,
and therefore we strongly support the development of solar energy systems. At the same time we
urge the Village in its solar code to emphasize conservation over mitigation measures, and to
promote a balance between the urgent need to roll out renewables and the equally urgent need to
preserve existing natural ecosystems, biodiversity, and natural resources. Solar energy is critical
to our future, and given the large amount of area in our community already given to rooftops,
pavement and grass it should be possible to develop solar and other green energy in places and
ways that do as little damage as possible to our already diminished natural environment.
SPECIFICS:
In support and explanation of the above, following are excerpts from the Village and Model Solar
Energy and Battery Energy codes that form the basis of our statement. Please note that these
excerpts are not intended to be exhaustive, just illustrative of our key points of recommendation.
Comments on existing Village Law
G.2.b. Plans showing the layout of the solar energy system signed by a professional engineer or
registered architect.
We recommend that landscape design should be included in all plans submitted to
the Village.
G.2.h.4. A tree restoration plan, restoring the decommissioned area to a condition similar to the
condition that existed prior to the installation. Recognizing that mature plantings cannot be easily
relocated, the Planning Board may exercise discretion in determining the number, caliper, type, and
location of plantings in reviewing any such plan, but all plantings shall be native noninvasive species.
7.b.3 from model code
3 Environmental Resources
a. Tree-cutting. Removal of existing trees larger than [6] inches in diameter
should be minimized to the extent possible.
b. To the extent practicable, Tier 2 Solar Energy System Owners shall utilize
and maintain native perennial vegetation to provide foraging habitat for
pollinators in all appropriate areas within the Facility Area.
c. Use integrated pest management practices to refrain from/limit pesticide
use (including herbicides) for long-term operation and site maintenance.
G.3.e. Lighting. Lighting of the solar energy systems shall be limited to that minimally required for safety
and operational purposes and shall be reasonably shielded and downcast from abutting properties.
Lighting laws should include wording regarding the use of Amber / Red light that will
conform to Dark Sky recommendations and minimize impacts on nocturnal animals.
G.3.f. Tree cutting. Tree removal shall be subject to the permit requirements of Chapter 208.
The Village should consult with the CCAC to revisit the current tree cutting
ordinance.
General Comments and Recommendations regarding existing Village Code
Cover in new tree ordinance Regarding Tree Replacement and Habitat
Restoration: the CCAC believes that real trees should be used as replacement - 2
new trees to replace every 3 trees removed. These should not be seedlings or
saplings, but fully established trees. The new trees should be replaced in the
vicinity as the existing trees as to not disturb the natural habitat.
Furthermore, native plants, pollinators, and flora consistent with the sustenance of
local fauna should be prioritized.
Regarding Decommissioning Plans: All decommissioning plans should include
plans to reforest all disturbed areas and should not be considered complete until
all replanted flora and re-integration of associated fauna are complete. Re-planting
is not sufficient – the threshold should be re-establishment with in 2 years.
Regarding Steep Slopes: Any future updates to Village Code should include and/or
strengthen existing protections for steep slopes.
Regarding Dark Skies: All lighting plans should prioritize protection of nocturnal
wildlife and adhere to best practices as detailed in Dark Sky recommendations to
combat light pollution.
COMMENTS ON MODEL SOLAR ENERGY LAW:
2.4. Statement of Purpose: To mitigate the impacts of Solar Energy Systems on environmental resources
such as important agricultural lands, forests, wildlife, and other protected resources; and
Instead of “to mitigate,” which presupposes destruction of protected resources,
language should emphasize conservation, for example: “To harness the benefits of
Solar Energy Systems while conserving environmental resources with the current
best practices of mitigation measures when impacts cannot otherwise be practically
avoided.”
8.13.d. The provision of a decommissioning security which shall adhere to the following
requirements…
As noted elsewhere, no decommissioning plan nor mitigation plan should be
considered complete until the restored environment has reached a level of maturity
that is reasonably predictive of long-term survival. Re-establishment is the key criteria,
not replanting and should be completed within 3 years
COMMENTS ON MODEL BATTERY ENERGY LAW:
Please note that all recommendations indicated to Solar Energy laws above similarly apply to
all aspects of the Model Battery Energy Law.
One point, however, deserves special emphasis:
2.C. Statement of Purpose: To mitigate the impacts of battery energy storage systems on
environmental resources such as important agricultural lands, forests, wildlife, and other protected
resources
As noted above, instead of “to mitigate,” which presupposes destruction of
protected resources, language should emphasize conservation, for example: “To
harness the benefits of Battery Energy Systems while conserving environmental
resources with the current best practices of mitigation measures when impacts
cannot otherwise be practically avoided.”
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