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SU0004362
Environmental Health - Public
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2600 - Land Use Program
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PA-0200012
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SU0004362
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Entry Properties
Last modified
5/7/2020 11:30:43 AM
Creation date
9/6/2019 10:37:07 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2600 - Land Use Program
RECORD_ID
SU0004362
PE
2632
FACILITY_NAME
PA-0200012
STREET_NUMBER
20350
Direction
N
STREET_NAME
KENNEFICK
STREET_TYPE
RD
City
ACAMPO
ENTERED_DATE
5/17/2004 12:00:00 AM
SITE_LOCATION
20350 N KENNEFICK RD
RECEIVED_DATE
1/22/2002 12:00:00 AM
QC Status
Approved
Scanner
SJGOV\rtan
Supplemental fields
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\MIGRATIONS\K\KENNEFICK\20350\PA-0200012\SU0004362\APPL.PDF \MIGRATIONS\K\KENNEFICK\20350\PA-0200012\SU0004362\CDD OK.PDF \MIGRATIONS\K\KENNEFICK\20350\PA-0200012\SU0004362\EH COND.PDF \MIGRATIONS\K\KENNEFICK\20350\PA-0200012\SU0004362\EH PERM.PDF
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EHD - Public
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by this application. Equity and fairness are not served by modification with this site <br /> process,when then has been long standing violations under the existing use. Such <br /> a expansion would be an unjust in view.of the current violations and intent of code <br /> enforcement. The "correction" of a clear code violation should not occur though a <br /> process that simply expands the alleged use of the property. <br /> It is interesting to note the wives signed in mid April 2001, yet Dan Mills- and <br /> Michael Valdez did not sign until 1/2/2042. It appears this process was started in <br /> April after Mr. Steven Snider, Esq. had been in contact with San Joaquin County <br /> officials on January 2% 2001 and therraftes on our behalL The applicants have not <br /> responded timely to existing complaints, have delayed this application and do not <br /> appear,to have the desire to use At subject property consistent with the zoning <br /> codes or the current use permit. Please review the County Code enforcement file, <br /> and in particular the corrections that were to occur. Most corrections have not been <br /> completed. The applicants were told to remove the. Sea-Land containers that were <br /> stacked,yet that has not occuatid. (See photos enclosed) <br /> Paint in fact is, they knowingly use the property for general manufacturing of <br /> concrete equipment and wining equipment, a eros-confoming use which will be <br /> expanded with this application. See the three photos of the concrete equipment and <br /> pump on site,whieh:are not agricultural custom m�nu�acturiag. <br /> It would create an injustice to code enforeemeat,business practices and the interests <br /> of the neighbors to &W w a neon-c onfoaning applicant to now expand, in reality <br /> change theuse of property from:repair to marnifiw wing that cannot comply with a <br /> less.intrusive use in 4an.agacWtural zone. There is clearly.manufacturing occurring ; <br /> without proper approval, fieftmin wb kh is well beyond agricultural related <br /> use. The intetests;of justice and W mess.demand that the prior Use Permit must <br /> Sat be honored, beforeany expansion should be considered. An expansion that <br /> should not be given serious consideration. <br /> This use has exceeded that which should be,alto Oed in an agricultural zone. There <br /> is a simple. and sound reason'behind Industt al parks;to house such intense uses <br /> with clear controls and lisnitations whichlimit the impact om the surrounding area. <br /> Although there is an attempt to call this custom agdcu hnal manufacturing, it is an <br /> industrial use, manufaag in an agricultural zone. The non-conforming <br /> manufacturing, the junk, the Sea Land containers with houseplant, the abandoned <br /> cars,barrels with unknown contents must first be honestly addressed and corrected. <br /> As set forth in attached Declaration of Kea Willis, the Applicants have also been <br /> untruithfid to Code Ervifforeement f)fficals. They have lied as to what equipment <br /> they do maaufit ct ue and it's red ase_'They inannf3tetam minequipment as well <br /> as mixers used in general toastruction, a use they are aware of and specifically sell <br /> their product'lme fot that known purpose and function. 'T'bis is neither a firm <br /> equipment repair operation not customagrice tiviAl ufacturi g, but GENERAL <br /> maafixturin&which is never allowed in AG 40. The website`for the third entities <br /> used by the applicants, IIagineeiredAutomation, RPM and Cope Manufraxndng <br /> clearly sets forth businesses that are not agricultural in limitation, but shotcxete., <br /> precasting and conotte processing industries. These businesses are per their own <br /> advertisement: "a full service manufacturer". Web page is enclosed for review and <br /> consideration. The site is cuttently in violation as an pure manmufacturer, as well as a <br /> junkyard (See San Joaquin County Code "SJCC" Section 9-100.4 `junkyard"), there <br /> is limited inside storage, as dearly required under the existing use permit. Please <br />
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