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(',,,—t CI k", <br />On March 22, the applicant submitted a Conditional Use application to request a plain oftvorship at <br />4255 S US Hl1tY 17-92. While this application was under staff—i—, 2 Business Tae Receipt (BTRI <br />appliestiom were submitted for 2 new business to locate nee door to the proposed El Camino Church in <br />the same retail building located on the subject property. On April 46, these hvo nem businesses, The <br />Casselberry Grill and Fashion Life Inc., received their BTR from the City of Casselberry. In doing so, the <br />Casselberry Grill and Fashion Life Inc. have utilized 0 of the available parking for the subject property. <br />As of today, there are no joint use agreements pertfining to sbared parking for the subject property. <br />("'we"', !or Cadi i—I Use. <br />La dUse Compatibility: The lack ofparking spaces and a circulation plan (or the additional traffic <br />generated by this use will adversely impactland use activities in the immediate ricitdty. Therefore this land <br />use is compatible. <br />Hour ofopetation: limited Hours Througbout the Week. <br />• Church services from loam to 1pm on Sunday <br />Bible study from 7:30pm to l0pm on T-sdays and T n -days <br />Tire applicant has informed staff that the congregation may meet on a select Fridays and Saturdays, but <br />onlymhen considered necessary. <br />Even mit limited hours of operation, there illstill be an adverse impactfor parking when the church <br />and restaurant operate at the same time. <br />Proper Use of Mitigative Techniques: Tlteapplicantbasnotcomefonvardwithaplmtoprovide <br />adequate parking or to mitigate the impacts of additional naffrc. <br />,STAFFRECOdMENDiiT AN: <br />Staff recommends the Planning and Zoning Conunission deny the requested conditional use <br />of CU 16-05 due to inadequate parking per Section 3-15.2 and the because the requested <br />conditional use does not complywith Section 2-6.1 in regards to adverse impacts on <br />properties and land uses within the inunediate vicinity; Sections 2-6.2(B)(1),(2),(3), and (5) for <br />reasons of land use incompatibility, insufficiencies of the site, the lack of mitigative <br />techniques, and failure to provide an ADA approved parking space. This denial is based on <br />the findings of fact and conclusions of this staff report dated April 13, 2016. <br />4/14/2016 <br />SCALL; AND LVTLNSrl }i <br />Size and adequate site accommodations fornse: <br />Based upon current occupancy and uses of the building, the site cannot accommodate the <br />parking needs of the EI Camino Church or any additional uses. <br />EMSEM <br />C,,ed u, G,HI <br />4/4/taus 12 <br />or P Per 100 sgft. <br />fspaa7 <br />Fashion nfr Inc <br />4/4/1016 4 <br />t3 spaces 1,000 <br />per <br />square feet of space) <br />E1 Cam7no Church <br />set res 11 11 space pu 3 <br />dl.W eats) <br />Site has l5 spares <br />site Use 31 spaces (Defdua <br />Nequlrez —I—) <br />CU16-OF.• 516 Queens Mirror Circle <br />Floating Boat Docic <br />