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Mr. Allan Giffcn <br /> July 8. 2009 <br /> Pagc 2 0(2 <br /> Aascd on lhe abovc information, wc fccl thc wholcsale usc componcnt of Goodwill's <br /> occupancy is best defined as Wholesale Distribulion,which is permilled within the City's <br /> MM r.one. However, it thc City fccls this usc falls within the definition of indoor retail; <br /> wc still (eel it is an allowed usc based on thc following footnote contained within the Usc <br /> Tables in Chapter 5 of Title 19 of the Municipal Code, which states Indoor Retail Uses <br /> within thc MM zone am: <br /> "Perniitted ns an accessor��use for rhose products produced on premises; up m Gut <br /> nn more d�an hrenry perccitf njgoods sold mn�����nr�d„��d�,ff-sirr and hy other <br /> produccrs" <br /> Bascd on this definition, the proposcd wholesalc usc necds to mect the following two <br /> criteria: I)the wholesalc use nceds to bc an accessory use to thc main warchouse/ <br /> processing use;and 2)at least 80'�0 of the goods sold within the wholesale component <br /> need lo lx proccsscd on sile. <br /> • Givcn the fact that the proposcd wholesalc usc comprises only 990 of Goodwill's <br /> occupancy, it is definitely an accessory use to the main use as n warchouse/ <br /> proccssing usc. <br /> • Further, 100�70 of all goods sold within thc facility are processed on site. <br /> We fccl 100"h, of Goodwill's proposed usc is allowcd within thc City's MM zone. Wc <br /> arc rcqucsting thc City to rcview are analysis and confirm our assumptions. <br /> Sinccrcly, <br /> Patrick Gcmma <br /> Senior Dcvclopment Manager <br /> Cc: [3an BrynestaJ, PanaUoni Devclopment Company <br /> Cindi Porslund, Scattic Goodwill Industrics <br /> \ <br /> 1 <br /> �� <br />