City of Calistoga Staff Report

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City of Calistoga Staff Report 9 TO: FROM: DATE: August 1, 2017 SUBJECT: Honorable Mayor and City Council Lynn Goldberg, Planning and Building Director Potential Initiation of Municipal Code Amendments to Allow Medical Marijuana Dispensary (MCA 2017-1) APPROVED FOR FORWARDING Dylan Feik, City Manager 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 ISSUE: Consideration of whether to allow one or more medical marijuana dispensaries in Calistoga RECOMMENDATION: Provide direction to staff on various issues related to allowing one or more medical marijuana dispensaries BACKGROUND: The City Council amended the Municipal Code in 2011 to prohibit medical marijuana dispensaries in all zoning districts (with exceptions for certain health care facilities). The staff report for the draft amendment cited the following concerns associated with dispensaries: Public Safety staff is concerned with the secondary effects and adverse impacts related to medical marijuana. Marijuana dispensaries have been linked to a variety of crimes that range in severity from loitering and disturbing the peace, to robbery and homicide. If crime occurs as a direct result of MMD s, the cost to the city in terms of hours spent on investigation and enforcement by public safety staff could be significant. Several secondary effects are associated with the distribution and use of marijuana. These include criminal acts, driving under the influence, white collar crimes, and negative impacts on our youth. Marijuana growers and dispensary operators have no oversight [by the FDA] and cannot validate the safety of their product.

Potential Medical Marijuana Dispensaries (MCA 2017-1) City Council Staff Report August 1, 2017 Page 2 of 4 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 50 51 52 53 54 55 56 57 58 MMD s have been reported to generate high levels of storefront activity. This includes people congregating at the entrance, loitering, waiting in parked cars, and high vehicle turnover. Marijuana has a distinctive smell: as a plant, a bud and while smoked. It is staff s understanding that MMD s often install ventilation systems to remove odors from the premises. Even with such systems, odors can still be pervasive. Traffic and parking impacts are dependent on the number of members of the MMD facility. However, determining the frequency of member visits to the MMD (e.g., daily, weekly or monthly) would likely be difficult. If the MMD has a high turnover rate where clients spend little time on site and pick up what they need and leave, then parking impacts may be less of a concern (but may have greater traffic and circulation impacts depending on whether the members use the MMD during peak periods). The staff report also recognized that banning local dispensaries would not respond to the compassionate care concerns of the State Compassionate Use Act, and would preclude Calistoga patients from obtaining medical marijuana in their own city. On May 16, 2017, the Council adopted Ordinance 730, which is primarily focused on the personal cultivation of cannabis plants. During the community forums and public hearings that were held prior to the ordinance s adoption, several members of the public expressed support for the establishment of one or more medical marijuana dispensaries within the community. The Council indicated that it was willing to re-consider this topic. DISCUSSION Proposed state regulations for dispensaries It appears that some of the concerns regarding dispensaries that were identified in the 2011 staff report have been addressed by the 2015 Medical Cannabis Regulation and Safety Act. Furthermore, the State recently released proposed regulations for the licensing of commercial cannabis businesses, including dispensaries (see Attachment 2 for relevant excerpts). The Bureau intends to have the regulations in effect no later than January 1, 2018. The proposed regulations, in part, would require that dispensaries: Receive their goods from licensed distributors and have the medical cannabis goods delivered by licensed transporters. Sell only goods that have undergone required testing procedures. Provide goods only to individuals who are legally allowed to purchase them. Place goods in an exit package after sale. Be open for sales only between the hours of 6:00 a.m. to 9:00 p.m. in order to reduce the risk of robbery and other crimes. Limit the amount and placement of displayed goods in order to reduce the risk of theft.

Potential Medical Marijuana Dispensaries (MCA 2017-1) City Council Staff Report August 1, 2017 Page 3 of 4 59 60 61 62 63 64 65 66 67 68 69 70 71 72 73 74 75 76 77 78 79 80 81 82 83 84 85 86 87 88 89 90 91 92 93 94 Conduct inventory reconciliation every week and keep detailed records of all activities. Report significant losses in inventory and crimes to law enforcement and the Bureau. Additionally, the proposed regulations would: Set security requirements regarding who may access the dispensary premises. Limit the amount of cannabis that can be sold to a patient on a daily basis. Prohibit samples from being provided free of charge. Impose rules on who can perform deliveries, the time during which deliveries can be made, and how deliveries are to be performed to reduce the risk of crime. The proposed regulations also require an applicant for a dispensary to provide extensive information about all owners and partners, a premises diagram, proof of approval by the property owner and the local jurisdiction, proof of bond, and proof of fingerprint submission to the Department of Justice. Furthermore, state law prohibits dispensaries from locating within 600 feet of schools. Issues and options The primary question to be answered by the City Council at this point is: Does the City Council support, in concept, allowing a medical marijuana dispensary in Calistoga? If the answer to this question is Yes, then a follow-up question is: What are the goals of allowing a dispensary? Identifying the goals of allowing a dispensary will help form the regulations associated with its establishment and operation. For example, if the primary goal is to provide a service to local patients (or their caregiver) so they can avoid having to travel to Sonoma County or Vallejo to obtain medical marijuana, limiting the number of patients that could be served by the dispensary to this population would affect the amount of traffic generated and the number of parking spaces required. This, in turn, would factor into identifying potential dispensary sites. If there are no limits placed on the population served or the number of patients, business activities could be much more intense because the dispensary would serve a much larger area, including northern Napa Valley and parts of Lake County. Examples of other issues that would need to be resolved include the following (see summary in Attachment 1): Utilize the standard use permit process or create a new dispensary permit that requires annual renewal?

Potential Medical Marijuana Dispensaries (MCA 2017-1) City Council Staff Report August 1, 2017 Page 4 of 4 95 96 97 98 99 100 101 102 103 104 105 106 107 108 109 110 111 112 113 114 115 116 117 118 119 120 121 122 123 Because only one dispensary might be allowed and there will be many interested applicants, how will the multiple applications be handled? For example, will there be a scoring system or a lottery? Allow additional activities, such as a cannabis lounge? Require separation from schools that is a greater distance than the state minimum (i.e., 600 feet)? (See Attachment 3). Require separation from other sensitive uses (e.g., residential neighborhoods, parks, religious facilities)? Require the payment of an annual fee to the City to defray monitoring and enforcement costs? Potential regulations If the Council supports, in concept, the establishment of a medical marijuana dispensary, staff recommends deferring to the State s application, licensing and operational requirements to the greatest extent possible. By the time these regulations are adopted, they will have been thoroughly vetted by all parties involved in commercial cannabis operations. Furthermore, a potential applicant will not have to prepare a City application that differs substantially from the one that is also submitted to the State. Alternatives The sale of recreational cannabis will become legal on January 1, 2018. If the Council wishes to focus only on meeting the medical needs of patients, the City need not allow this type of sale. However, if the Council supports recreational sales, staff recommends including regulations to encompass this type of sale in addition to or instead of medical dispensaries. FISCAL IMPACTS: Proposition 64 set a 15 percent statewide excise tax on marijuana purchases and authorized local taxes, as well. If the City were to allow a dispensary, it could generate revenue from the imposition of a tax on gross receipts. The enactment of such a tax would require local voter approval (by a simple majority) and the proceeds could be used for any legitimate governmental purpose. Other local jurisdictions have recently enacted such a tax. Cloverdale and Sonoma County voters recently approved a tax rate of up to 10 percent; Santa Rosa voters approved a maximum 8 percent tax. ATTACHMENTS 1. Summary of Cannabis Sales Issues & Options 2. Relevant excerpts from Bureau of Medical Cannabis Regulation Proposed Dispensary Regulations 3. Marijuana Dispensary Exclusion Areas Map (i.e., 600-foot separation from schools)

ATTACHMENT 1 Summary of Cannabis Sales Issues & Options Issues Allow at least one medical marijuana dispensary? Limit number of dispensaries? Application process for dispensary? Limit number of patients? Limit patient residency? Allow additional activities? Allow in which zoning districts? Require separation from sensitive uses? Require how much parking? Annual permit review or renewal? Tax gross receipts? Require annual payment to City? Allow recreational sales in 2018? Yes / No If yes, allow how many? Options Scoring system (e.g., based on proposed site, business plan, qualifications and experience of principals, neighborhood compatibility plan, operations and security plan, local enterprise)? First-come/first-served? Window for applications followed by lottery? If yes, how many? If yes, limit to: 94515 zip code? Napa County? If yes, allow activities such as: Consumption of cannabis on premises Classes (e.g., education, cultivation) Downtown Commercial Zoning District or Downtown Commercial outside of core Community Commercial Zoning District Industrial Zoning District Increase separation from schools beyond state minimum of 600 feet? Require separation from sensitive uses such as parks, youth facilities, religious facilities, residential zones? Require separation from other dispensaries if more than 1 allowed? Require parking study based on number of patients and employees Options: Use permit with potential revocation for non-compliance with conditions of approval Use permit with annual review New type of permit that requires annual renewal Requires majority popular vote Cover permit monitoring and call response costs Yes / No

ATTACHMENT 2 Dispensaries California Bureau of Medical Cannabis Regulation Relevant Proposed Dispensary and Delivery Regulations The proposed regulations would require that dispensaries: Receive their medical cannabis goods from licensed distributors Have the medical cannabis goods delivered by licensed transporters Use the track and trace system to monitor activity Provide medical cannabis goods only to individuals who are legally allowed to purchase them by requiring that all medical cannabis patients provide the dispensary with identification, a physician s recommendation, and, in the case of primary caregivers, documentation of the authorization for them to act as a primary caregiver. Sell only medical cannabis goods that have undergone required testing procedures. Store medical cannabis goods in a manner to prevent spoilage or degradation Place medical cannabis goods in an exit package after sale. Conduct sales only between the hours of 6:00 a.m. to 9:00 p.m. in order to reduce the increased risk of robbery and other crimes. Limit the amount and placement of medical cannabis goods used for display in order to reduce the risk of theft. Conduct inventory reconciliation every week and keep detailed records of all activities. Report significant losses in inventory and crimes to law enforcement and the bureau Prohibit samples from being provided free of charge. The proposed regulations would prohibit a dispensary from: Packaging medical cannabis goods on-site. Reselling any medical cannabis goods that have been returned by a medical cannabis patient or primary caregiver The proposed regulations would: Set security requirements regarding who may access the dispensary premises Deliveries The proposed regulations would set requirements for delivery to medical cannabis patients and impose rules on: Who can perform deliveries The time during which deliveries can be made How deliveries are to be performed to reduce the risk of crime