Published on: 16474982. To repeal Rules 61A-2.014 and 61A-2.019, F.A.C. The Department has determined that these rules are unnecessary or are repetitive of current Florida law.
Published on: 6561582. waiver of Florida Administrative Code Rule 61A-2.014 from Tavistock Restaurants II, LLC. Petitioner Tavistock Restaurants II, LLC requests a waiver of Florida Administrative Code Rule 61A-2.014, subsection (6), which requires all directors or officers of a corporation with an interest in an alcoholic beverage license to file a set of fingerprints at the time of making application for a beverage license or at the time an interest is created after a license has been issued. Petitioner does not qualify as any of the three exceptions also created by Florida Administrative Code Rule 61A-2.014, but requests the waiver of application of the rule to the directors and officers of both the guarantor of Petitioner’s lease for Petitioner’s initial Florida venue, Lake Nona Property Holdings, LLC, and to the guarantor’s managing member, Tavistock Corporation.
Published on: 5727576. On February 29, 2008, the Petitioner, Hyatt Corporation, Inc., et al., filed a Petition for Waiver of Florida Administrative Code Rule 61A-2.014 with the Department of Business and Professional Regulation, Division of Alcoholic Beverages and Tobacco ("Department"). The Petition requested a waiver of Florida Administrative Code Rule 61A-2.014, subsection (6), which requires all directors or officers of a corporation with an interest in an alcoholic beverage license to file a set of fingerprints at the time of making application for a beverage license or at the time an interest is created after a license has been issued. Petitioner does not qualify as any of the three exceptions also created by Florida Administrative Code Rule 61A-2.014, but requested the waiver of application of the rule to Petitioner’s positions of Assistant Secretary, since such positions are not involved in the operation, control or management of any Florida hotel or any alcoholic beverage sales at a Florida location.
The Department published notice of receipt of the Petition with Florida Administrative Weekly on March 28, 2008.
On May 28, 2008, the Department filed an Order Granting Petition for Waiver. The Order noted that the positions for which waiver of F.A.C. Rule 61A-2.014 was requested are not involved in the operation, control, or management of any Florida hotel or of any alcoholic beverage sales at a Florida location, that granting this waiver would not create a dangerous precedent, and that the proposed waiver was consistent with the principles of public welfare articulated by the Rules of the Florida Administrative Code. The Order concluded that Petitioner's request for waiver met the burden of demonstrating that the principles of public welfare and the purpose of the underlying rule had been met.
Published on: 5727091. On March 28, 2008, the Petitioner, TGI Friday's, Inc., filed a Petition for Waiver of Florida Administrative Code Rule 61A-2.014 with the Department of Business and Professional Regulation, Division of Alcoholic Beverages and Tobacco ("Department"). The Petition requested a waiver of Florida Administrative Code Rule 61A-2.014, subsection (6), which requires all directors or officers of a corporation with an interest in an alcoholic beverage license to file a set of fingerprints at the time of making application for a beverage license or at the time an interest is created after a license has been issued. Petitioner does not qualify as any of the three exceptions also created by Florida Administrative Code Rule 61A-2.014, but requested the waiver of application of the rule to Petitioner’s positions of Assistant Secretary, Assistant Secretary (acting as in-house counsel), Vice President of Operations (with oversight responsibilities relating only to those locations outside of Florida), Vice President of Franchising, Vice President of Strategic Projects, Vice President of International Operations, Senior Vice President of Marketing, and Chief Operations Officer, since such positions are not involved in the operation, control or management of any Florida hotel or any alcoholic beverage sales at a Florida location.
The Department published notice of receipt of the Petition with Florida Administrative Weekly on April 18, 2008.
On May 28, 2008, the Department filed an Order Granting Petition for Waiver. The Order noted that the positions for which waiver of F.A.C. Rule 61A-2.014 was requested are not involved in the operation, control, or management of any Florida hotel or of any alcoholic beverage sales at a Florida location, that granting this waiver would not create a dangerous precedent, and that the proposed waiver was consistent with the principles of public welfare articulated by the Rules of the Florida Administrative Code. The Order concluded that Petitioner's request for waiver met the burden of demonstrating that the principles of public welfare and the purpose of the underlying rule had been met.
Published on: 5519705. waiver of subsection 61A-2.014(6), Florida Administrative Code. Petitioner TGI Friday’s, Inc. requests a waiver of subsection 61A-2.014(6), Florida Administrative Code, which requires all directors or officers of a corporation with an interest in an alcoholic beverage license to file a set of fingerprints at the time of making application for a beverage license or at the time an interest is created after a license has been issued. Petitioner does not qualify as any of the three exceptions also created by Rule 61A-2.014, Florida Administrative Code, but requests the waiver of application of the rule to Petitioner’s positions of Assistant Secretary, Assistant Secretary (acting as in-house counsel), Vice President of Operations (with oversight responsibilities relating only to those locations outside of Florida), Vice President of Franchising, Vice President of Strategic Projects, Vice President of International Operations, and Senior Vice President of Marketing and Chief Operations Office, since such positions are not involved in the operation, control or management of any Florida hotel or any alcoholic beverage sales at a Florida location.