Amateur Sanctioning Organization Licensure, Criteria for Approval and Denial, Emergency Medical Equipment; Other Required Equipment, Arena Equipment; Ring Requirements, Insurance Requirements, Post-Match Physical of Amateur, Citations, Records, ...  

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    DEPARTMENT OF BUSINESS AND PROFESSIONAL REGULATION
    State Boxing Commission

    RULE NOS.:RULE TITLES:
    61K1-4.001Amateur Sanctioning Organization Licensure, Criteria for Approval and Denial
    61K1-4.004Emergency Medical Equipment; Other Required Equipment
    61K1-4.005Arena Equipment; Ring Requirements
    61K1-4.007Insurance Requirements
    61K1-4.009Post-Match Physical of Amateur
    61K1-4.012Citations
    61K1-4.014Records
    61K1-4.015Disciplinary Guidelines
    61K1-4.016Boxing Weight Classes; Weigh-In
    61K1-4.017Boxing Conduct of Bout; Rounds
    61K1-4.019Boxing Bandages; Handwraps; Gloves
    61K1-4.020Kickboxing Weight Classes; Weigh-In
    61K1-4.021Kickboxing Conduct of Bout; Rounds
    61K1-4.022Kickboxing Apparel
    61K1-4.023Kickboxing Bandages and Handwraps; Gloves
    61K1-4.024Mixed Martial Arts Weight Classes; Weigh-In
    61K1-4.025Mixed Martial Arts Conduct of Bout; Rounds
    61K1-4.027Mixed Martial Arts Bandages and Handwraps; Gloves

    NOTICE OF CORRECTION

    Notice is hereby given that the following correction has been made to the proposed rule in Vol. 38, No. 57, October 24, 2012 issue of the Florida Administrative Register.

    The following titles have been corrected:

    61K1-4.004Emergency Medical Equipment; Other Requirements

    61K1-4.005 Arena Equipment Requirements; Ring Requirements; and Fenced Area Requirements

    The following is a Summary of the Statement of Estimated Regulatory Costs created for the following rules: 61K1-4.001, 61K1-4.004, 61K1-4.005,               61K1-4.007, 61K1-4.009, 61K1-4.012, 61K1-4.014, 61K1-4.015, 61K1-4.016, 61K1-4.017, 61K1-4.019, 61K1-4.020, 61K1-4.021, 61K1-4.022, 61K1-4.023, 61K1-4.024, 61K1-4.025, 61K1-4.027, as approved by the Commission:

             The rules are not likely to directly or indirectly have an adverse impact on economic growth; private-sector job creation or employment, or private-sector investment in excess of $1 million in the aggregate within 5 years after the implementation of the rules.

             The rules are not likely to directly or indirectly have an adverse impact on business competitiveness, including the ability of persons doing business in the state to compete with persons doing business in other states or domestic markets, productivity, or innovation in excess of $1 million in the aggregate within 5 years after the implementation of the rules.

             The rules are not likely to directly or indirectly to increase regulatory costs, including any transaction costs, in excess of $1 million in the aggregate within 5 years after the implementation of the rules.

             The number of individuals and entities likely to be required to comply with the rules based on the number of licensees under Chapter 548, F.S. will be approximately 700.

             The department will not incur any costs for implementing or enforcing the proposed rules.

             There will be no cost to any other state and local government entities of implementing the proposed rules.

             The total estimated costs to the licensees in a 5 year period is not in excess of  $1 million in the aggregate within 5 years after the implementation of the rules.

             The estimated number of small businesses that would be subject to the rules is between 100-499.

             There is no small county or small city that will be impacted by the rules.

    The agency has determined that the proposed rules are not expected to require legislative ratification based on the statement of estimated regulatory costs or if no SERC is required, the information expressly relied upon and described herein: The Commission prepared a SERC for the aforementioned rules., and determined that they did not exceed any of the criteria established in Section 120.541(2)(a), F.S.