00-002522 Marina Suites Association, Inc. vs. Sarasota Bay Hotel, Inc., And Department Of Environmental Protection
 Status: Closed
Recommended Order on Monday, February 12, 2001.


View Dockets  
Summary: Applicant has provided requisite reasonable assurances that proposed project is not contradictory to public interest and should be approved.

1STATE OF FLORIDA

4DIVISION OF ADMINISTRATIVE HEARINGS

8MARINA SUITES ASSOCIATION, INC., )

13)

14Petitioners, )

16vs. )

18) Case No. 00-2522

22SARASOTA BAY HOTEL, INC. and )

28DEPARTMENT OF ENVIRONMENTAL )

32PROTECTION, )

34)

35Respondents. )

37___________________________________)

38RECOMMENDED ORDER

40A hearing was held in this case in Sarasota, Florida,

50on November 21 and 22, and December 15, 2000, before

60Arnold H. Pollock, an Administrative Law Judge with the

69Division of Administrative Hearings.

73APPEARANCES

74For Petitioner: Mark A. Hanson, Esquire

80Law offices of Lobeck and Hanson, P.A.

872033 Main Street

90Suite 403

92Sarasota, Florida 34237

95For Sarasota Bay Hotel:

99Barbara B. Levin, Esquire

103Ronald L. Collier, Esquire

107Scott A. Haas, Esquire

111Abel, Band, Russell, Collier,

115Pitchford and Gordon

118240 South Pineapple Avenue

122Sarasota, Florida 34236

125For the Department:

128Craig D. Varn, Esquire

132Department of Environmental Protection

1363900 Commonwealth Boulevard

139Mail Station 35

142Tallahassee, Florida 32399-3000

145STATEMENT OF THE ISSUE

149The issue for consideration in this case is whether the

159Department of Environmental Protection should issue a permit

167to Sarasota Bay Hotel, Inc., to modify and expand an existing

178marina facility associated with an existing adjacent hotel,

186based on reasonable assurances from the applicant that the

195proposed project satisfies the applicable statutory and rule

203criteria.

204PRELIMINARY MATTERS

206On March 2, 2000, Bob Stetler, the Department of

215Environmental Protection's (DEP) Southwest District

220Environmental Administrator, published the Department's Intent

226to Issue relating to an environmental resource permit for the

236modification and expansion of an existing marina facility

244located adjacent to Sarasota Bay Hotel, Inc.'s (SBH) Hyatt

253Hotel in Sarasota, Florida. On May 25, 2000, after two

263extensions of time to file matters in opposition, the

272Petitioners (Marina Suites) property owners whose residential

279properties are located adjacent to the proposed project, filed

288a Petition for Administrative Hearing in which they opposed

297the proposed permit. This hearing ensued.

303At the hearing, the Department presented the testimony of

312Rose H. Poyner, an environmental specialist for the

320Department's Southwest District office, and Randal Reed

327Cooper, a professional engineer II (storm water) at the

336Department's Tampa office. The Department also introduced

343Department's Exhibits 1 through 4. SBH presented the

351testimony of Stephen G. Mehas, general manager of the Hyatt

361Hotel located adjacent to the marina in question; Kristina V.

371Tignor, an engineer and vice-president of the Tignor Group, an

381engineering and permitting consulting firm; Charles E.

388Githler, President of SBH, the general partner of Hotel

397Associates and owner of the property in question; and by

407depositions, Mary Duncan, an environmental specialist III with

415the Florida Fish and Wildlife Conservation Commission and an

424expert in permit review for impacts to manatees and their

434habitat, and Patricia Thompson, a staff biologist with Save

443the Manatee Club. SBH also introduced SBH Exhibits 1 through

45316. Petitioner presented the testimony of Gary Stephen Comp,

462general manager of natural resources for Sarasota County;

470Joseph F. Hyland, Jack L. Neely, Philip M. Dasher,

479Granville H. Crabtree, Jr., and Hannelor Rimlinger, all

487residents of Marina Suites, Petitioners herein; and Steven C.

496Sauers, an environmental management consultant in private

503practice. Petitioner further presented the testimony of

510Randall Armstrong, partner in the Phoenix Environmental Group,

518consultants on the preparation and filing of dredge and fill

528permits. Petitioner also introduced Petitioner's Exhibits A

535through J, L though N, and P through X. Petitioner's Exhibits

546K and Y were offered but were rejected.

554A Transcript of the proceedings was filed on December 11,

5642000. Subsequent to receipt of the transcript counsel for

573Respondents joined in submitting a Joint Proposed Recommended

581Order. Counsel for Petitioner also submitted proposed

588Findings of Fact, Conclusions of Law, and Recommended Order.

597The submittals of all the parties were carefully considered in

607the preparation of this Recommended Order.

613FINDINGS OF FACT

6161. At all times pertinent to the issues herein, the

626Department of Environmental Protection (Department) was the

633state agency in Florida responsible for the review of

642environmental resource permit applications and for the

649regulation of water pollution in specified waters of the

658state. SBH is a Florida corporation and the general partner

668of Hotel Associates of Sarasota, Limited (Hotel Associates),

676the owner of the property in question. The complex at issue

687is composed of the Hyatt Hotel and certain submerged land

697underlying the proposed project. SBH is the authorized agency

706for Hotel Associates for the purpose of obtaining the permit

716in issue. Petitioners are associations of condominium owners

724whose properties lie adjacent and to the west of the site in

736question. The parties stipulated that all Petitioners had

744standing in this proceeding.

7482. The site at issue, owned by Hotel Associates,

757consists of a portion of the submerged bottoms within a sea-

768walled, rectangular-shaped, man-made basin which runs in a

776north-south direction west of U.S. Highway 41 in Sarasota. It

786is connected by a narrowed channel to Sarasota Bay at its

797southern end. Hotel Associates owns approximately the

804northern one-third of the basin, and Petitioners own

812approximately the western one-half of the southern two-thirds

820of the basin. Petitioners' property is not covered in the

830proposed permit. The remaining portion of the basin,

838comprised of the eastern one-half of the southern two-thirds,

847is owned by an entity which is not a party to this action, and

861that portion of the bottom also is not covered by the proposed

873permit. However, in order for boat traffic to reach the

883property in issue, the boats must traverse the southern two-

893thirds of the basin. Both Petitioners and the unconnected

902third owner maintain existing finger piers within their

910respective portions of the basin outside the portion in issue.

9203. The basin in which the marina in question is located

931is classified as a Class III water body and is connected to

943Sarasota Bay, which is a Class III Outstanding Florida Water.

953Sarasota Bay is located approximately twelve hundred feet from

962the head of the basin and approximately eight hundred feet

972from the southern property line of the basin. As of the date

984of the hearing, the applicant, SBH, operated a permitted

993marina facility within the perimeter of the property in issue.

1003This permit was issued years ago after the fact; that is,

1014after the marina had already been constructed.

10214. As it currently exists, the marina is made up of

1032perimeter docks which adjoin the northern and eastern sides of

1042the basin and includes eight finger piers which provide ten to

1053fifteen slips. In addition, a perimeter dock extends around

1062an existing restaurant which sits on pilings over in the

1072northeast end of the basin.

10775. Repairs and modifications were made to the fac ility

1087under then-existing exemptions in 1995. These included the

1095replacement of numerous copper, chromium, and arsenic (CCA)

1103treated pilings and the re-decking of existing walkways and

1112finger piers with CCA-treated wood.

11176. At the present time, seven of the finger-pier slips

1127are under lease to a commercial charter fleet, Chitwood

1136Charters, and one slip located along the perimeter dock is

1146leased to a dive boat operation, Scuba Quest. At least one

1157other finger-pier slip has a boat docked at it for an extended

1169period. This boat is owned by Charles Githler, president of

1179SBH. The remaining finger-pier and perimeter slips are

1187ordinarily used on a transient basis by guests of the Hyatt

1198Hotel and the restaurant.

12027. The existing facility, including the finger piers

1210slips and the perimeter slips, contains approximately 6,700

1219square feet of docking space and is designed to accommodate

1229between twenty to thirty boats, depending upon the length of

1239the boats. On occasion, however, as many as 40 to 60 boats

1251have been docked at the facility. At times, when demand

1261increases, the larger slips have been subdivided to allow up

1271to four boats to be stern-moored per slip. Even more boats

1282have been docked at the facility for boat shows by the use of

1295stern mooring or "rafting," which calls for boats to be moored

1306tied together, side by side, out from the docks.

13158. By application dated May 18, 1999, and received by

1325the Department's Tampa District office on June 16, 1999, SBH

1335sought to obtain from the Department a permit to modify and

1346expand its existing marina facility. It proposed to expand

1355the existing approximately 6,700 square feet of dock space to

1366approximately 7,000 square feet, thereby creating a marina

1375with 32 designated slips. Conditions to issuance of the

1384permit, agreed to by the applicant, include a limitation on

1394the number of boats which may be moored at the facility at any

1407time and the addition of storm water treatment capability to

1417the existing storm water drainage system. SBH also agreed to

1427reduce the terminal end of the middle pier from 900 to 400

1439square feet.

14419. SBH also agreed to accept the imposition of several

1451other permit conditions required by the Department, and to

1460offset any impacts on wildlife and water quality as a result

1471of the operation of the permitted facility. In addition to

1481requiring that all long-term slip leases incorporate

1488prohibitions against live- aboards and dockside boat

1495maintenance, these conditions include the following:

150115. Overboard discharges of trash, human

1507or animal waste, or fuel shall not occur at

1516the docks.

151816. Sewage pump-out service shall be

1524available at the marina facility.

1529* * *

153218. Fish cleaning stations, boat repair

1538facilities and refueling facilities are not

1544allowed.

154520. There shall be no fueling or fueling

1553facilities at the facility.

1557* * *

156028. The shoreline enhancement indicated on

1566Attachment A shall be implemented within 30

1573days.

1574* * *

157730. The permittee shall perform water

1583quality monitoring within the basin at the

1590locations indicated on Attachment A

1595semiannually (January and July of each

1601year) for a period of 5 years.

1608* * *

161133. All piles shall be constructed of

1618concrete with exception of 18 mooring piles

1625identified in permit submittals.

162934. This permit authorizes the mooring

1635(temporarily or permanently) of a maximum

1641of [32] watercraft at the subject facility.

1648A harbormaster must be designated and

1654maintained at the subject facility.

165935. In order to be in compliance with this

1668permit, the ”OARS Ultra-Urban" hydrocarbon

1673adsorbent insert, or Department approved

1678equal, must be installed within the catch

1685basin inlets as shown on the approved

1692drawings.

169336. At a minimum, the hydrocarbon

1699adsorbent material shall be replaced and

1705maintained in accordance with

1709manufacturer's instructions. More frequent

1713inspections and replacement of the

1718filtration media may be required, depending

1724on local conditions and results of the

1731required water quality monitoring.

1735* * *

173839. The permittee/grantee/lessee shall

1742ensure that:

17441. In order to provide protection to

1751manatees during the operation of this

1757facility, permanent manatee information

1761and/or awareness sign(s) will be installed

1767and maintained to increase boater awareness

1773of the presence of manatees, and of the

1781need to minimize the threat of boats to

1789these animals.

179110. SBH has also agreed to replace existing CCA-treated

1800wood decking with concrete and fiberglass decking and to

1809replace approximately 80 existing CCA-treated wood pilings

1816with concrete pilings.

181911. Based on its analysis of the permit application and

1829the supporting documentation submitted therewith, the

1835Department, on March 2, 2000, entered a Notice of Intent to

1846issue the permit for this project. Shortly thereafter, on

1855March 25, 2000, after obtaining a minimal extension of time to

1866file, the Petitioners filed a Petition for Administrative

1874Hearing opposing the issuance of the proposed permit.

188212. Departmental decisions on water quality permits such

1890as that in issue here are dependent upon the applicant

1900satisfying the Department's requirements in several identified

1907areas. These include the impact of the project on water

1917quality; impact of the project on the public health, safety,

1927and welfare; impact of the project on the conservation of fish

1938and wildlife, including threatened or endangered species;

1945impact of the project on navigation, the flow of water,

1955erosion and shoaling; impact of the project on the immediate

1965fishing, recreational values and marine productivity; impact

1972of the project on archeological resources; impact of the

1981project on the current condition and relative value of

1990functions currently performed by areas to be affected; whether

1999the project is permanent or temporary; and a balancing of the

2010criteria, cumulative impacts, and secondary impacts.

201613. Addressing each of these in turn, it is clear th at

2028the current quality of the water within the existing marina is

2039below established standards. Respondents admit that

2045Petitioner has shown that the existing marina operation has

2054diminished water quality conditions and created an environment

2062that has potential adverse impacts to the fish and wildlife

2072which frequent the basin as well as some of the neighboring

2083property owners. This is not to say that these impacts were

2094envisioned when the basin was constructed. However, other

2102than as they relate to fish and wildlife and to water quality,

2114the problems created by the marina do not relate to most

2125permit criteria.

212714. The Respondent's experts calculate that due to its

2136configuration and location, the basin naturally flushes

2143approximately every 14.75 days. This is an inadequate time

2152period to fully disperse any pollutants found in the basis.

2162As a result of the inadequate flushing and the continuing use

2173of the basin as a marina, there are resulting impacts to the

2185water quality surrounding the existing facilities.

219115. Mr. Armstrong, Petitioner's water quality expert,

2198indicated the project as proposed would lengthen even further

2207the flushing time because of the addition of new boats and, to

2219a lesser degree, the additional pilings and dock structure.

2228These additions would, he contends, result in additional

2236obstructions to water movement and cause a resultant increase

2245in flushing time. While flushing is not a requirement of the

2256permit, it has a bearing on water quality which is a

2267consideration.

226816. Petitioners also argue that the mitigation measures

2276proposed in the permit are inadequate and attack the

2285qualifications of Mr. Cooper, the Department's storm water

2293engineer. They point out alleged errors in Cooper's analysis

2302and cite Mr. Armstrong, an individual with significant

2310experience in water quality monitoring and analysis, to

2318support their other witnesses' conclusions that more boats

2326will increase the risk of hydrocarbon pollution from gasoline

2335and diesel engines. Petitioners urge that the increased

2343contamination, when coupled with the slow flushing action,

2351would tend to settle down to where the pollutants enter the

2362water - in the basin.

236717. Since it is clear these impacts would exist and

2377continue even were the pending project not constructed, the

2386issue, then, is whether the proposed project will worsen these

2396environmental impacts. Respondents' authorities calculate

2401they would not. In fact, it would appear the proposed changes

2412called for in the permit, the removal of CCA-treated wood and

2423its replacement with concrete piling and decking and the

2432installation of storm water treatment apparatus, would reduce

2440the adverse impacts to water quality within the basin and, in

2451fact, improve it. It is so found.

245818. An issue is raised in the evidence as to the actual

2470number of boats which can effectively use the marina at any

2481one time. SBH contends the present configuration calls for

2490between twenty to thirty boats. Evidence also shows that at

2500times, during boat shows for example, many more boats are

2510accommodated therein through "rafting." Even if the facility

2518is expanded by the most significant number of slips, there is

2529no concrete evidence there would be a significantly increased

2538usage. The current usage is normally well below capacity.

2547Modifications proposed under the pending permit could add as

2556many as ten to fifteen additional slips. The Department has

2566considered it significant that SBH has agreed to limit the

2576number of boats that can be docked in this marina, even after

2588modification. Unfortunately, no specific figure has been

2595given for this limit, and, therefore, it cannot be shown

2605exactly how much long-term water quality benefit can be

2614expected. Nonetheless, it is a reasonable conclusion to draw,

2623as the Department has done, that if the number of boats is

2635limited to a figure at or even slightly higher that that which

2647is currently experienced, a long-term benefit can be expected

2656with the implementation of the other

2662mitigation conditions. This benefit currently cannot be

2669quantified, however.

267119. What can be established, and all parties agree, is

2681that the basin currently does not meet water quality standards

2691for copper and dissolved oxygen. The proposed permit

2699addresses the issue of dissolved oxygen by requiring SBH to

2709follow best management practices in the operation of the

2718marina; to treat storm water discharge which enters the

2727marina; and to provide a sewage pump-out station at the marina

2738which would prevent the discharge of sewage into the water.

2748The issue of the water's copper level is addressed by the

2759removal of the CCA-treated pilings and decking and their

2768replacement with concrete and fiberglass; the treatment of the

2777storm-water discharge before its discharge into the basin; and

2786the hiring of a harbor master to ensure that the prohibition

2797against hull scraping at the basin is complied with. A

2807restriction on the number of boats allowed into the marina at

2818any one time would also treat the copper problem by reducing

2829the exposure to anti-fouling paint containing copper. This is

2838a condition of the permit.

284320. It is important to note that under existing

2852statutory and rule exemptions, SBH could repair or replace the

2862existing dock structure without the need for a permit.

2871However, the issuance of a permit which permits modification

2880and a slight expansion of the facility will prohibit the

2890replacement of the existing CCA-treated wood with CCA-treated

2898wood. The concrete and fiberglass pilings and decking will

2907not leach copper into the water and, in time, should result in

2919a lower concentration of that substance in the water.

292821. Another consideration of the permitting authorities

2935relates to the impact the project would have on public health,

2946safety, and welfare. Petitioners expressed concern that an

2954increase in the number of slips called for in the proposed

2965project would cause an increase in the number of boats that

2976utilize the basin. Currently, though there are a limited

2985number of slips available, there is no limitation on the

2995number of boats which may use the facility. A reasonable

3005estimate of capacity, considering the configuration of the

3013docks and slips and the permit limitations established,

3021indicates that no more than thirty-two boats will be permitted

3031to use the basin at any one time. If this limitation is

3043followed, it is reasonable to expect an improvement in the

3053water quality.

305522. Petitioners also express concern that an increase in

3064the number of authorized boats using the marina will result in

3075an increase in the number of boats traveling at excessive

3085speeds in entering and exiting. No evidence was introduced in

3095support of this theory, but, in any case, Respondents counter-

3105hypothesize that the increase in allowed boats will result in

3115an increase in long term lessors over transients, and suggest

3125that long term users are more considerate than transients.

3134Neither side presented any substantial evidence in support of

3143its positions.

314523. The impact on the conservation of fish and wildlife

3155is a mandated consideration by the agency. No evidence was

3165presented by either side regarding the existence of fish and

3175wildlife in the area, much less threatened species, other than

3185manatees. To be sure, these noble creatures inhabit the

3194marina at times in appreciable numbers. The threat to them,

3204however, comes from boat strikes, and no evidence was

3213presented as to the number of strikes caused by boats in the

3225marina or its approaches or the seriousness of these strikes.

3235The agency to which the review of impacts to manatees was

3246left, the Florida Fish and Wildlife Conservation Commission

3254(FWCC) opined that the permit cap of 32 boats would keep to a

3267minimum the potential impact to manatees from this project.

3276Any increase in the number of boats, and the minimal impact

3287increase thereby, should, it was considered, be offset by

3296compliance with permit conditions. This opinion was

3303contradicted by Mr. Thompson, Petitioner's manatee expert, who

3311argued against any increase of boat traffic in manatee areas.

3321This position is not the policy of the Department and is not

3333controlling here. Further, it would appear this expert did

3342not consider any mitigation factors proposed by SBH, as the

3352Department is required to do. Taken together, the weight of

3362the evidence supports a finding that the expected impact of

3372this project on fish and wildlife, including those threatened

3381and endangered species, is minimal.

338624. Based on the evidence of record, it is found that

3397the expected impact of this project on navigation, the flow of

3408water, erosion, and shoaling in the vicinity is virtually non-

3418existent. The only factor bearing on this issue is the number

3429of boats which will use the facility and its approach. Permit

3440conditions call for a limitation on the number of water craft

3451which will use the facility to be permitted to a number lower

3463than that which uses it, at times, under current conditions.

3473The water is a dead-end harbor, with no through traffic.

3483There is no evidence of either erosion or shoaling now. It

3494would not likely increase. A reduction in traffic as would

3504occur under the conditions imposed by the permit can do

3514nothing but reduce the potential for propeller dredging by

3523boat traffic and the water turbidity that would accompany such

3533strikes. This would improve navigation slightly, and there

3541should be no adverse impact to the flow of water.

355125. The evidence presented at hearing did not establish

3560any negative impact on fishing or marine productivity in the

3570vicinity of the proposed project, which is permanent in

3579nature. By the same token, no adverse effect to significant

3589historical or archaeological resources was shown by the

3597evidence of record.

360026. The facility in issue is currently a commercial

3609activity consisting of a docking facility and a restaurant.

3618No evidence was introduced to show that the project proposed

3628would have an adverse impact on the current condition and

3638relative value of the current function. In fact, the evidence

3648indicates that the facility would be improved. Though not

3657raised by the evidence, it should be noted that Petitioners

3667presented no evidence that their property values as adjacent

3676property owners, would be adversely effected by this project.

368527. In balancing the criteria, cumulative impacts and

3693secondary impacts of the proposed project on the immediate and

3703surrounding area, it appears that the applicant has provided

3712reasonable assurances that the project is not contrary to the

3722public interest. The marina supports the hotel and restaurant

3731which is on it. Adjoining property owners, the Petitioners,

3740expressed concern that the modifications to the existing

3748marina will result in a decrease in water quality in the

3759basin; will increase the potential for fuel spills with their

3769related short term discomforts and long term damages; and will

3779increase the danger to the manatee population which

3787periodically uses the basin. While they are entitled to the

3797quiet enjoyment of their property, it is unreasonable for

3806those who live on the water to expect that the benefits of

3818living by the water would not carry with it the potential for

3830some periodic discomfort created by waterfront activity.

383729. The weight of the evid ence presented in this case

3848indicates no significant cumulative adverse impacts from this

3856project. To the contrary, the state of the evidence suggests

3866an improvement in water quality and navigation in the basin

3876and its approaches, and any secondary impacts resulting from

3885the accomplishment of the project would be minimal.

3893CONCLUSIONS OF LAW

389630. The Division of Administrative Hearings has

3903jurisdiction over the parties and the subject matter of this

3913case. Section 120.57(1), Florida Statutes.

391831. The Pe titioner has challenged the Department's

3926proposed intent to issue a permit to SBH to modify and expand

3938the existing marina adjacent to its hotel facility on the edge

3949of Sarasota Bay. The existing marina was constructed without

3958permit, but the proposed modifications must be permitted

3966pursuant to Sections 373.413, 373.414, and 373.416, Florida

3974Statutes, and Chapter 40D-4.301, Florida Administrative Code.

3981As applicant, SBH carries the burden of proving by a

3991preponderance of the evidence its entitlement to the permit

4000sought by providing reasonable assurances that the project

4008will not cause pollution that would violate applicable

4016statutes or rules. Department of Transportation v. J.W.C.

4024Company, Inc. , 396 So. 2d 778 (Fla. 1st DCA 1981).

403432. The evidence of r ecord indicates that the current

4044water quality at the site of the proposed project is in

4055violation of standards required for both copper and dissolved

4064oxygen. Therefore, under the provisions of Section 373.414,

4072Florida Statutes, the Department cannot issue a permit of the

4082kind sought here unless the applicant provides reasonable

4090assurances, through creditable plans, tests, and other

4097relevant evidence, that the project will result in a net

4107improvement in water quality.

411133. Rule 40D-4.301(1), Florida Admin istrative Code,

4118provides the standards to be used in reviewing applications

4127for permits such as here, and requires a showing that the

4138project, as pertinent here:

4142(a) will not cause adverse water quality

4149impacts to receiving waters and adjacent

4155land;

4156* * *

4159(d) will not adversely impact the value of

4167functions provided to fish and wildlife,

4173and listed species including aquatic and

4179wetland dependant species,. . .;

4185(e) will not adversely affect the quality

4192of receiving waters, such that the water

4199quality standards . . . will be violated;

4207(f) will not cause adverse secondary

4213impacts to the water resources;

4218* * *

4221(j) will be conducted by an entity with

4229financial, legal and administrative

4233capability of ensuring that the activity

4239will be undertaken in accordance with the

4246terms and condition of the permit, if

4253issued.

425434. Petitioners argue that SBH has not given, by a

4264preponderance of the evidence, the required reasonable

4271assurances that the proposed project would result in any net

4281improvement in the copper and dissolved oxygen levels in the

4291water of the basin or that the proposed project will not

4302otherwise cause pollution or adversely affect water quality in

4311the subject area. The evidence or record, however,

4319demonstrates that the interventions proposed by SBH will

4327result in a net improvement both as to copper and dissolved

4338oxygen levels in the water. The restriction on the number of

4349boats which will be permitted to dock in the basin, as well as

4362the implementation of the other proposed items, such as the

4372use of a harbor-master and the treatment of storm water

4382discharged into the basin, will tend to reduce pollution of

4392the basin waters, and taken together, would support the

4401conclusion that the water quality within the basin, while

4410still not up to standards, will improve as a result of the

4422actions required by the permit.

442735. Much the same can be said regarding the cumulative

4437impacts of the project on water quality. It is unlikely the

4448waters of the basin will ever become pristine again.

4457Development and commercialization of the surrounding area will

4465preclude that from happening. However, a strict adherence to

4474the conditions imposed on the granting of this permit will

4484result in far less adverse cumulative impact that would be the

4495case if the pilings and docks were not to be replaced with

4507materials that do not contribute to an increase in copper and

4518other pollutants.

452036. Under the circumstances as described herein, it

4528appears clear that SBH has provided the requisite reasonable

4537assurances that the project is not contrary to the public

4547interest.

4548RECOMMENDATION

4549Based on the foregoing Findings of Fact and Conclusions

4558of Law, it is recommended that the Department of Environmental

4568Protection enter a Final Order issuing to Sarasota Bay Hotel

4578the requested permit to modify and expand the existing marina

4588facility located adjacent to the existing Hyatt Hotel at 1000

4598Boulevard of the Arts in Sarasota, Florida.

4605DONE AND ENTERED this 12th day of February, 2001, in

4615Tallahassee, Leon County, Florida.

4619___________________________________

4620ARNOLD H. POLLOCK

4623Administrative Law Judge

4626Division of Administrative Hearings

4630The DeSoto Building

46331230 Apalachee Parkway

4636Tallahassee, Florida 32399-3060

4639(850) 488-9675 SUNCOM 278-9675

4643Fax Filing (850) 921-6947

4647www.doah.state.fl.us

4648Filed with the Clerk of the

4654Division of Administrative Hearings

4658this 12th day of February, 2001.

4664COPIES FURNISHED:

4666Barbara B. Levin, Esquire

4670Scott A. Haas, Esquire

4674Abel, Band, Russell, Collier,

4678Pitchford & Gordon

4681240 South Pineapple Avenue

4685Sarasota, Florida 34236

4688Graig D. Varn, Esquire

4692Department of Environmental

4695Protection

46963900 Commonwealth Boulevard

4699Mail Station 35

4702Tallahassee, Florida 32399-3000

4705Mark A. Hanson, Esquire

4709Law Offices of Lobeck & Hanson, P.A.

47162033 Main Street

4719Suite 403

4721Sarasota, Florida 34237

4724Kathy C. Carter, Agency Clerk

4729Office of the General Counsel

4734Department of Environmental

4737Protection

47383900 Commonwealth Boulevard

4741Mail Station 35

4744Tallahassee, Florida 32399-3000

4747Teri L. Donaldson, General Counsel

4752Department of Environmental

4755Protection

47563900 Commonwealth Boulevard

4759Mail Station 35

4762Tallahassee, Florida 32399-3000

4765NOTICE OF RIGHT TO SUBMIT EXCEPTIONS

4771All parties have the right to submit written exceptions within

478115 days from the date of this Recommended Order. Any

4791exceptions to this Recommended Order should be filed with the

4801agency that will issue the Final Order in this case.

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Date
Proceedings
PDF:
Date: 03/26/2001
Proceedings: Final Order filed.
PDF:
Date: 03/20/2001
Proceedings: Agency Final Order
PDF:
Date: 03/02/2001
Proceedings: Corrected RO
PDF:
Date: 03/02/2001
Proceedings: Changes to Recommended Order of February 12, 2001 issued.
PDF:
Date: 02/27/2001
Proceedings: Joint Exceptions to Correct Scrivener`s Errors in the Recommended Order (filed via facsimile).
PDF:
Date: 02/12/2001
Proceedings: Recommended Order
PDF:
Date: 02/12/2001
Proceedings: Recommended Order cover letter identifying hearing record referred to the Agency sent out.
PDF:
Date: 02/12/2001
Proceedings: Recommended Order issued (hearing held November 21 and 22, and December 15, 2000) CASE CLOSED.
PDF:
Date: 01/30/2001
Proceedings: Petitioner`s Proposed Findings of Fact, Conclusions of Law and Recommended Order filed.
PDF:
Date: 01/23/2001
Proceedings: Department of Environmental Protection`s and Sarasota Bay Hotel, Inc.`s Joint Proposed Recommended Order with diskette filed.
PDF:
Date: 01/17/2001
Proceedings: Order on Motion to Extend Time issued (the motion for extension of time which will extend time for issuance of the recommended order is denied).
PDF:
Date: 01/12/2001
Proceedings: Notice of Change of Address (filed by M. Hanson via facsimile).
PDF:
Date: 01/12/2001
Proceedings: Notice of Telephone Hearing (on Motion to Extend Time, on Tuesday, January 16, 2001 at 11:00 a.m., filed via facsimile).
PDF:
Date: 01/12/2001
Proceedings: Motion to Extend Time (to file Proposed Findings of Fact and Conclusions of Law, filed by Petitioners via facsimile).
Date: 01/08/2001
Proceedings: Transcript filed.
Date: 12/15/2000
Proceedings: CASE STATUS: Hearing Held; see case file for applicable time frames.
Date: 12/11/2000
Proceedings: Transcript (Volume 1 and 2) filed.
PDF:
Date: 12/07/2000
Proceedings: Sarasota Bay`s Combined Response to Issues Pertaining to Depositions of Patricia Thompson and Randall Armstrong (filed via facsimile).
PDF:
Date: 12/05/2000
Proceedings: Petitioner`s Response to Objections to Portions of Deposition of Randal L. Armstrong (filed via facsimile).
PDF:
Date: 12/04/2000
Proceedings: Objections to Portions of Deposition of Randall Armstrong (filed via facsimile).
Date: 12/04/2000
Proceedings: Transcript (Volume 3 and 4) filed.
PDF:
Date: 11/30/2000
Proceedings: Memorandum of Law in Support of Admission of deposition of Particia Thompson (filed via facsimile).
PDF:
Date: 11/30/2000
Proceedings: Notice of Hearing issued (hearing set for December 15, 2000; 9:00 a.m.; Sarasota, FL).
Date: 11/21/2000
Proceedings: CASE STATUS: Hearing Partially Held; continued to date not certain.
Date: 11/20/2000
Proceedings: Subpoena Duces Tecum (13, filed via facsimile).
Date: 11/20/2000
Proceedings: Subpoena Duces Tecum (2, filed via facsimile).
Date: 11/20/2000
Proceedings: (Respondent`s Answers to) Interrogatories (filed via facsimile).
Date: 11/20/2000
Proceedings: Notice of Serving Answers to Interrogatories (filed by Respondent via facsimile).
Date: 11/20/2000
Proceedings: Notice of Filing Original Answers to Interrogatories (filed by Petitioner via facsimile).
PDF:
Date: 11/17/2000
Proceedings: Petitioners` Supplemental Exhibit List (filed via facsimile).
PDF:
Date: 11/17/2000
Proceedings: Respondent Sarasota Bay Hotel, Inc.`s Supplemental Exhibit List (filed via facsimile).
PDF:
Date: 11/17/2000
Proceedings: Motion in Limine to Exclude Evidence (filed by Respondent via facsimile).
PDF:
Date: 11/16/2000
Proceedings: Amended Notice of Taking Telephonic Deposition Duces Tecum in Lieu of Trial Testimony (of M. Duncan, filed via facsimile).
Date: 11/15/2000
Proceedings: Notice of Filing Deposition Transcripts (filed via facsimile).
PDF:
Date: 11/15/2000
Proceedings: Notice of Taking Telephonic Deposition Duces Tecum in Lieu of Trial Testimony (of M. Duncan, filed via facsimile).
PDF:
Date: 11/14/2000
Proceedings: Respondent`s Witness and Exhibit List (filed via facsimile).
PDF:
Date: 11/13/2000
Proceedings: Petitioners` Witness and Exhibit List (filed via facsimile).
PDF:
Date: 11/13/2000
Proceedings: (Joint) Pretrial Stipualtion (filed via facsimile).
PDF:
Date: 11/13/2000
Proceedings: Notice of Taking Deposition; Subpoena Duces Teucm (of S. Mehas, filed via facsimile).
PDF:
Date: 11/09/2000
Proceedings: Notice of Substitution of Counsel for the Plaintiff (filed by C. Varn).
PDF:
Date: 11/07/2000
Proceedings: Cross Notice of Taking Deposition of R. Armstrong (filed via facsimile).
PDF:
Date: 11/07/2000
Proceedings: Third Amended Notice of Taking Telephonic Deposition Duces Tecum of R. Armstrong (filed via facsimile).
PDF:
Date: 11/02/2000
Proceedings: Amended Notice of Taking Deposition of P. Dasher (filed via facsimile).
PDF:
Date: 11/02/2000
Proceedings: Subpoena Duces Tecum to P. Dasher (filed via facsimile).
PDF:
Date: 11/02/2000
Proceedings: Second Amended Notice of Taking Deposition Duces Tecum of R. Armstrong (filed via facsimile).
PDF:
Date: 10/27/2000
Proceedings: Notice of Taking Deposition of P. Dasher (filed via facsimile).
PDF:
Date: 10/24/2000
Proceedings: Subpoena Duces Tecum to Randall Armstrong (filed via facsimile).
PDF:
Date: 10/23/2000
Proceedings: Notice of Taking Deposition Duces Tecum of R. Armstrong (filed via facsimile).
PDF:
Date: 10/19/2000
Proceedings: (M. Hanson) Cross-Notice of Taking Deposition (filed via facsimile).
PDF:
Date: 10/19/2000
Proceedings: Amended Notice of Taking Deposition of C. Githler, S. Mehas (filed via facsimile).
PDF:
Date: 10/18/2000
Proceedings: Third Amended Notice of Taking Deposition of R. Macaulay, J. Neely (filed via facsimile).
PDF:
Date: 10/13/2000
Proceedings: Notice of Taking Deposition of R. Poynor, R. Cooper (filed via facsimile).
PDF:
Date: 10/10/2000
Proceedings: Subpoena Duces Tecum filed. (2)
PDF:
Date: 10/06/2000
Proceedings: Second Amended Notice of Taking Deposition (filed via facsimile).
Date: 10/05/2000
Proceedings: Amended Notice of Taking Deposition of J. Neely; R. Scheffert (filed via facsimile).
PDF:
Date: 10/04/2000
Proceedings: Amended Notice of Hearing issued. (hearing set for November 21 and 22, 2000; 9:30 a.m.; Sarasota, FL, amended as to location).
PDF:
Date: 10/04/2000
Proceedings: Notice of taking Deposition (Mark Hanson) (filed via facsimile).
PDF:
Date: 10/03/2000
Proceedings: Notice of Taking Deposition of C. Githler (filed via facsimile).
PDF:
Date: 09/29/2000
Proceedings: Notice of Taking Deposition Duces Tecum of P. Thompson, R. Armstrong, D. Dixon (filed via facsimile).
PDF:
Date: 09/18/2000
Proceedings: Notice of Hearing issued (hearing set for November 21 and 22, 2000; 9:30 a.m.; Sarasota, FL).
PDF:
Date: 09/15/2000
Proceedings: Joint Response to Order Granting Continuance and Requiring Response (filed via facsimile).
PDF:
Date: 09/01/2000
Proceedings: Order Granting Continuance and Requiring Response issued (parties to advise status by November 15, 2000).
PDF:
Date: 08/31/2000
Proceedings: Joint Stipulation for Continuance (filed via facsimile).
PDF:
Date: 08/31/2000
Proceedings: Notice of Cancellation of Deposition of C. Githler (filed via facsimile).
PDF:
Date: 08/28/2000
Proceedings: Notice of Taking Deposition (filed via facsimile).
PDF:
Date: 08/24/2000
Proceedings: Response to Request for Production of Documents (filed by Petitioners via facsimile).
PDF:
Date: 08/24/2000
Proceedings: Notice of Service of Answers to Interrogatories (filed via facsimile).
PDF:
Date: 08/23/2000
Proceedings: Department of Environmental Protection`s Response to Marina Suites Association, Inc.`s Request for Production of Documents (filed via facsimile).
PDF:
Date: 08/23/2000
Proceedings: Department of Environmental Protection`s Reply to Sarasota Bay Hotel, Inc.`s First Request for Admissions (filed via facsimile).
PDF:
Date: 08/22/2000
Proceedings: Respondent, Sarasota Bay Hotel`s Response to Marina Suites Association, Inc. Request to Produce (filed via facsimile).
PDF:
Date: 08/22/2000
Proceedings: Notice of Serving Answers to Interrogatories (filed by Respondent via facsimile).
PDF:
Date: 08/21/2000
Proceedings: Notice of Service of Answers to Interrogatories from Condominium on the Bay Tower I Association, Inc. (filed via facsimile).
PDF:
Date: 08/21/2000
Proceedings: Notice of Service of Answers to Interrogatories from The Condominium on the Bay Tower II Association, Inc. (filed via facsimile).
PDF:
Date: 08/21/2000
Proceedings: Notice of Service of Answers to Interrogatories from Condominium on the Bay Marina Suites Association, Inc. (filed via facsimile).
PDF:
Date: 08/21/2000
Proceedings: Notice of Service of Answers to Interrogatories from Condominium on the Bay Management Corporation Association, Inc. (filed via facsimile).
Date: 08/16/2000
Proceedings: Order Granting Leave to Amend (Petitioners) filed.
PDF:
Date: 08/16/2000
Proceedings: Amended Petition to Intervene and Request for Formal Hearing filed.
PDF:
Date: 08/16/2000
Proceedings: Motion for Leave to Amend filed.
PDF:
Date: 08/15/2000
Proceedings: Respondent, Sarasota Bay Hotel, Inc.`s First Request for Admissions to Respondent, Department of Environmental Protection (filed via facsimile).
Date: 08/11/2000
Proceedings: (Mark Hanson) Notice of Taking Deposition Duces Tecum (filed via facsimile).
PDF:
Date: 08/09/2000
Proceedings: Amended Notice of Taking Deposition of S. Sauers (filed via facsimile).
PDF:
Date: 08/07/2000
Proceedings: Order Denying Without Prejudice Motion to Quash Subpoena and for Protective Order issued.
PDF:
Date: 08/03/2000
Proceedings: Respondent Sarasota Bay Hotel, Inc.`s First Request for Production-Condominium on the Bay Management Corporation, Inc. (filed via facsimile).
PDF:
Date: 08/03/2000
Proceedings: Respondent Sarasota Bay Hotel, Inc.`s First Request for Production-Condominium on the Bay Tower II Association II, Inc. (filed via facsimile).
PDF:
Date: 08/03/2000
Proceedings: Respondent Sarasota Bay Hotel, Inc.`s First Request for Production-Marina Suites Association, Inc. (filed via facsimile).
PDF:
Date: 08/03/2000
Proceedings: Respondent Sarasota Bay Hotel, Inc.`s First Request for Production-Condominium on the Bay Tower I Association, Inc. (filed via facsimile).
PDF:
Date: 08/01/2000
Proceedings: Request for Production of Documents (DEP) (filed via facsimile).
PDF:
Date: 08/01/2000
Proceedings: Request for Production of Documents (Sarasota Bay Hotel) filed.
PDF:
Date: 08/01/2000
Proceedings: Ltr. to M. Hanson from B. Levin In re: faxed discovery on 7/31/2000. (filed via facsimile)
PDF:
Date: 08/01/2000
Proceedings: Notice of Service of Interrogatories filed.
PDF:
Date: 07/27/2000
Proceedings: Motion to Quash Subpoena and for Protective Order. (filed via facsimile)
PDF:
Date: 07/14/2000
Proceedings: Notice of Serving Interrogatories.(4) (Sarasota Bay Management Corporation, Inc., Bay Tower II Association, Inc., Sarasota Bay Marina Suites Association, Inc., Bay Tower I Association, Inc.) (filed by B. Levin via facsimile)
PDF:
Date: 07/10/2000
Proceedings: Notice of Hearing sent out. (hearing set for September 14 and 15, 2000; 9:00 a.m.; Sarasota, FL)
PDF:
Date: 07/10/2000
Proceedings: Order of Pre-hearing Instructions sent out.
PDF:
Date: 07/07/2000
Proceedings: Notice of Conflict (Petitioner) (filed via facsimile)
PDF:
Date: 06/29/2000
Proceedings: Joint Response to Initial Order (filed via facsimile)
PDF:
Date: 06/26/2000
Proceedings: Notice of Appearance (B. Levin, filed by via facsimile) filed.
Date: 06/21/2000
Proceedings: Initial Order issued.
PDF:
Date: 06/16/2000
Proceedings: Notice of Intent to Issue Permit filed.
PDF:
Date: 06/16/2000
Proceedings: Consolidated Wetland Resource Permit and Intent to Grant Sovereign Submerged Lands Authorization filed.
PDF:
Date: 06/16/2000
Proceedings: Verification of the Condominium on the Bay Marina Suites Association, Inc. filed.
PDF:
Date: 06/16/2000
Proceedings: Verification of the Condominium on the Bay Tower I Association, Inc. filed.
PDF:
Date: 06/16/2000
Proceedings: Verification of the Condominium on the Bay Tower II Association, Inc. filed.
PDF:
Date: 06/16/2000
Proceedings: Verification of Condominium on the Bay Management Corporation, Inc. filed.
PDF:
Date: 06/16/2000
Proceedings: Petition to Intervene and Request for Formal Hearing filed.
PDF:
Date: 06/16/2000
Proceedings: Consolidated Notice of Intent to Issue Wetland Resource Permit and Authorization to use Sovereign Submerged Lands filed.
PDF:
Date: 06/16/2000
Proceedings: Request for Assignment of Administrative Law Judge and Notice of Preservation of Record filed.

Case Information

Judge:
ARNOLD H. POLLOCK
Date Filed:
06/16/2000
Date Assignment:
06/21/2000
Last Docket Entry:
03/26/2001
Location:
Sarasota, Florida
District:
Middle
Agency:
ADOPTED IN PART OR MODIFIED
 

Related DOAH Cases(s) (1):

Related Florida Statute(s) (4):

Related Florida Rule(s) (1):