Mark Hickinbotham, P.E. on August 15, 2013.; The Petitioner seeks interpretation of section 489.105(3)(a), Florida Statutes to clarify if a certified general contractor is licensed to perform the same scope of work as a PCC, and whether a certified ...
DEPARTMENT OF BUSINESS AND PROFESSIONAL REGULATION
Construction Industry Licensing Board
NOTICE IS HEREBY GIVEN that the Construction Industry Licensing Board has received the petition for declaratory statement from Mark Hickinbotham, P.E. on August 15, 2013.The petition seeks the agency's opinion as to the applicability of Section 489.105(3)(a), F.S. as it applies to the petitioner.
The Petitioner seeks interpretation of Section 489.105(3)(a), Florida Statutes to clarify if a certified general contractor is licensed to perform the same scope of work as a PCC, and whether a certified general contractor can furnish and install chemical feed systems without a PCC, CMC or CFC license. Except for good cause shown, motions for leave to intervene must be filed within 21 days after publication of this notice.
A copy of the Petition for Declaratory Statement may be obtained by contacting: Drew Winters, Executive Director, Construction Industry Licensing Board, 1940 North Monroe Street, Tallahassee, FL 32399-0783, (850)487-1395 or by electronic mail - Donald.Shaw@myfloridalicense.com.
Document Information
- Meeting:
- Section 489.105(3)(a), F.S.
- Contact:
- Drew Winters, Executive Director, Construction Industry Licensing Board, 1940 North Monroe Street, Tallahassee, FL 32399-0783, (850) 487-1395 or by electronic mail - Donald.Shaw@myfloridalicense.com.