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San Joaquin County I Environmental Health Department ®❑ <br /> 1868 E Hazelton Avenue, Stockton CA 95205 <br /> T(209) 468.3912 1 E Iturkatte(@sjcehd.com <br /> From: Brian McNamara <mcnamara740CcDRmail.com> <br /> Sent: Wednesday, March 13, 2019 9:48 AM <br /> To: Linda Turkatte [EH] <LTurkatte(@sjcehd.com>; Michael Kith [EH] <mkith(@sicehd.com> <br /> Cc:Jim Kahn <iim.kahn(@2mail.com> <br /> Subject: RE: 9698 South Priest Road, French Camp. <br /> Linda Turkatte <br /> Director, SJC Dept. Environmental Health <br /> Dear Ms. Turkatte, <br /> It late October of last year we met with members of SJC Staff to discuss issues relating to <br /> our application for a Use Permit for a Religious Assembly development to be located at <br /> 9698 S Priest Road in French Camp. Present at the meeting was Mr. Shih of EHD who <br /> commented that each of the proposed congregate residences would require its own <br /> OWTS. When asked about this Mr. Shih said he would provide us with the pertinent <br /> regulations which he did soon after the meeting. However, Mr. Shih cited Section 5 of the <br /> SJC OWTS Standards which pertains to residential developments involving non- <br /> transient, habitable structures. Our project is neither and is clearly to be regulated under <br /> the Commercial portions of the OWTS, Section 6. <br /> Section 5 of the SJC OWTS Standards applies to residential developments relating to <br /> single and multi-family homes that provide habitable structures for non-transient, <br /> household uses that are typically places of permanent residency. Conversely, our <br /> proposal is, in part, for transient congregate residences as defined by the California <br /> Building Code which are intended to provide sleeping quarters only for those persons <br /> attending meditation retreats. Retreats are either 3 or 10 days in length each of which will <br /> be offered a maximum of 5 times per year. According to the SJC Development Title our <br /> application is for a non-residential use and therefore is required to be regulated by <br /> Section 6 of the SJC OWTS Standards. <br /> Attached is a memo that was prepared more than one month ago and sent to Mr. Kith of <br /> EHD detailing our understanding of this issue. As per our last conversation with Mr. Kith <br /> he agreed to review the memo with other Staff but to date there has been no reply. The <br /> lack of a substantive response to our memo only further delays our Use Permit <br /> application resulting in unnecessary hardships to our Clients. At this point in time we <br /> would like to schedule an appointment with you to resolve this issue as soon as possible. <br /> Please let me know when you would be available for such a discussion. I can be reached <br /> via email or by phone at 415-283-9192. <br /> Thank you, <br /> Brian McNamara <br />