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75D - PH - MOBILE VENDING
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75D - PH - MOBILE VENDING
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Last modified
6/29/2017 4:07:11 PM
Creation date
6/29/2017 4:03:58 PM
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Template:
City Clerk
Doc Type
Agenda Packet
Agency
Planning & Building
Item #
75D
Date
7/5/2017
Destruction Year
2022
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REQUEST FOR <br />COUNCIL ACTION <br />CITY COUNCIL MEETING DATE: <br />JULY 5, 2017 <br />TITLE: <br />PUBLIC HEARING - ADOPT AN <br />ORDINANCE TO REGULATE MOBILE <br />FOOD VENDING VEHICLES <br />{STRATEGIC PLAN NO 5, 4} <br />CITY MAdAGER <br />RECOMMENDED ACTION <br />CLERK OF COUNCIL USE ONLY: <br />0W;j:Z919:IW <br />❑ As Recommended <br />❑ As Amended <br />❑ Ordinance on 1� Reading <br />❑ Ordinance on 20° Reading <br />❑ Implementing Resolution <br />❑ Set Public Hearing For <br />CONTINUED TO <br />FILE NUMBER <br />1. Adopt an ordinance to repeal existing mobile food vehicle regulations in the Santa Ana <br />Municipal Code and replace them with new regulations. <br />X <br />2. Adopt an ordinance to repeal existing mobile food vehicle regulations in the Santa Ana <br />Municipal Code. <br />DISCUSSION <br />Santa Ana's leadership and community have expressed safety concerns with mobile food <br />vending vehicles that pose traffic hazards and/or special danger to the safety and welfare of <br />children and residents. The City's intent is to provide clear and concise regulations with regard <br />to mobile food vending vehicles to ensure public safety and prevent traffic hazards, preserve the <br />peace, and safeguard the welfare of the community. <br />In December 1994, the City Council adopted regulations for vending vehicles. Subsequently in <br />2004 and 2005, the City Council adopted regulations by Ordinances NS -2655 and NS -2701, <br />which were challenged by an action filed at the Orange County Superior Court (Vasquez v. City <br />of Santa Ana - Case No. 05CC13450). The Court ruled in favor of the plaintiffs, finding that <br />California Vehicle Code section 22455 preempted Santa Ana's ordinances because City <br />regulations were not limited to protecting public safety. Following the Vasquez case, the City was <br />restrained from enforcing regulations on mobile food vending vehicles even though Vehicle Code <br />section 22455 allows a local authority to adopt additional requirements for mobile vending, <br />restricting the time, place and manner of vending in order to protect public safety. <br />In a collaborative effort to obtain input on this issue, City staff held meetings with community <br />stakeholders impacted by mobile food vending. Participants in these meetings included <br />75D-1 <br />
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