Fred R. Dudley, Esq. on behalf of C.A.R.P.I. U.S.A., Inc., filed on March 12, 2012.; The Petitioner seeks the Board to interpret Section 489. Part I, Florida Statutes, and whether licensure is required for installation of flexible polyvinyl ...
DEPARTMENT OF BUSINESS AND PROFESSIONAL REGULATION
Construction Industry Licensing BoardNOTICE IS HEREBY GIVEN that Construction Industry Licensing Board has received the petition for declaratory statement from Fred R. Dudley, Esq. on behalf of C.A.R.P.I. U.S.A., Inc., filed on March 12, 2012. The petition seeks the agency’s opinion as to the applicability of Section 489, Part I, Florida Statutes, as it applies to the petitioner.
The Petitioner seeks the Board to interpret Section 489, Part I, Florida Statutes, and whether licensure is required for installation of flexible polyvinyl chloride (“PVC”) geomembrane and geocomposite lining materials as a water barrier, utilizing stainless steel anchorage batten bars, neoprene sponge rubber gaskets, and thixotopic epoxy waterproof sealant.
A copy of the Petition for Declaratory Statement may be obtained by contacting: Drew Winters, Executive Director, Construction Licensing Board, P. O. Box 5257, Tallahassee, Florida 32314-5257.
Please refer all comments to: Drew Winters, Executive Director, Construction Licensing Board, P. O. Box 5257, Tallahassee, Florida 32314-5257.
Document Information
- Meeting:
- Section 489. Part I, Florida Statutes
- Contact:
- Drew Winters, Executive Director, Construction Licensing Board, P. O. Box 5257, Tallahassee, Florida 32314-5257.