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HomeMy WebLinkAboutR41-Economic Development Agency . " 5I'cb I INLAND COUNTIES LEGAL SERVICES IRENE C. MORALES, State Bar #68915 2 ROBERT S. RODDICK, State Bar #75478 715 N. Arrowhead Avenue, Suite 113 3 San Bernardino, CA 92401 (909) 884-8615 4 Fax (909) 884-8281 5 Attorneys for JAVIER CALDERON, EFRAIN QUINTERO, ADRIANA 6 QUINTERO-DELGADO and FERMIN TIERRA BLANCO :; .: .. ~-= ~' " - "; j\,-.-,-,- Irq '"1"1 ,.,.,' .J 1 -ell ,n, 1..-' . 7 8 9 10 II IN THE COMMON COUNCIL OF THE CITY OF SAN BERNARDINO 12 INRE: ) APPEAL TO THE COMMON COUNCIL 13 ) AND REQUEST FOR STAY CERTAIN ACTIONS AND ) 14 ) (Chapter 2.64, Municipal Code of the City of DETERMINATIONS OF THE ) San Bernardino) 15 ) ECONOMIC DEVELOPMENT ) 16 ) AGENCY AND THE OFFICE OF ) 17 ) THE CITY ATTORNEY ) 18 ) ) 19 20 21 22 23 24 25 26 To The Mayor and Members of the Common Council: Appellants respectfully request a review of actions and determinations of the Econornic Development Agency ("EDA") and the Office of the City Attorney ("City Attorney"), pursuant to Chapter 2.64 of the Municipal Code ofthe City of San Bernardino. Appellants further request that an expedited hearing on this appeal be set no later than February 5, 2001, and that the actions and determinations on appeal be stayed until that hearing, pursuant to Article III of the Municipal Code (City Charter), including, without limitations, the powers granted in Section 40, Subsections (X), (Z) and (AA). 27 28 R". ;J-;'O/lJ! APPEAL TO THE COMMON COUNCIL . . I 2 I. SUMMARY 3 After the partial evacuation of the Cypress Inn Mobile Home Park, the EDA offered a $5,000 4 grant to evacuated families, in exchange for permission to demolish their homes. Now, after 5 receiving the requested permission, which would include a release of all rights to these homes,l the 6 EDA and the City Attorney are refusing to honor the agreement. This is not an issue of expecting- 7 something-for-nothing. Appellants simply contend, with due respect, that the cost of 48 days in a 8 motel cannot compensate for the loss of their homes. And, with the EDA considering financial 9 assistance to the owner of the Cypress Inn, it appears that the issue is not whether public funds will 10 be used, but how. We are only asking the City to honor its own promise made at the February II 11 abatement hearing to extend the January 31 deadline for those making a good faith effort 12 to locate alternate housing! 13 14 II INTRODUCTION 15 This appeal is brought under Chapter 2.64 of the Municipal Code of the City of San 16 Bernardino and guided by the findings set forth in Code Chapters 8.90 and 15.55. 17 As stated in Section 15.55.080 of Chapter 15.55: 18 The Mayor and Common Council of the City Hereby find that those living in mobile home parks are often on fixed incomes and are severely limited in their 19 ability to find alternate housing... 20 According to Section 8.90.020 of Chapter 8.90: 21 The result ofthese conditions is the creation of a captive market of mobile home owners and tenants. This immobility, in turn, contributes. to the creation of a 22 great imbalance in the bargaining relationship between park owners and mobile home park tenants in favor of the park owners. 23 24 25 26 In spite of these findings-and suddenly indifferent to the "great imbalance"-- the EDA and City Attorney have insisted that Appellants find an affordable new home within 48 days of the evacuation. Families who beat the deadline will qualify for the City's financial assistance and may 27 'This is alleged on information and belief, since requests for copies of documents signed by Appellants, including 28 documents granting permission to demolish homes. have been denied and/or delayed by the EDA and City Attorney, APPEAL TO THE COMMON COUNCIL -2- . I 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 remain in the motel until further notice. Those who did not beat the deadline-who are still inspecting homes, reviewing budgets, investigating schools and negotiating with owners-these families will be disqualified from further assistance regardless of their goodfaith efforts. And, 48 days after being forced from their homes, they will be forced out of the motel - with nowhere left to go. Considering that (1) the Council has specifically recognized the difficulties faced by mobile home tenants, (2) that Appellants have released their homes to the City, and (3) that Appellants are actively seeking replacement housing, the deadline set by the EDA and City Attorney is arbitrary, unconscionable and contrary to the spirit and letter of the Municipal Code.2 III PARTIES Appellants are former residents of the Cypress Inn Mobile Home Park, located at 2057 N. Mount Vernon A venue in the City of San Bernardino. Appellants were evacuated from the park on December 14,2000 and relocated to a motel. The EDA and the City Attorney are agencies of the City of San Bernardino, consisting of officers, officials, or department heads of the City. IV ACTIONS APPEALED Appellants request the Council's review of the following actions and determinations: 1. At a public hearing held January 18,200 I, the EDA and City Attorney denied any imminent deadline for financial assistance to Appellants who have demonstrated agoodfaith effort to find replacement housing. Then by letter dated January 25 and 26,2001, the EDA and the City Attorney imposed a deadline of January 31, 200 I, for all families who have not entered a "rental agreement" or "purchase contract" -regardless of any and all goodfaith efforts. (A copy of one of these letters is attached as Exhibits A.) 2 Enforcement of this deadline may also be an act of bad faith, since the EDS and City Attorney bave denied informal requests for documents (See, '2 of Exhibit A) and have warned that Appellants' decision to retain counsel "could delay the progress and arrangements...... (See,12 of Exhibit A), APPEAL TO THE COMMON COUNCIL -3- I 2. 2 3 4 5 3. 6 7 8 9 10 II 12 13 14 15 16 17 18 IV. 19 On or about December 14,2000, the EDA and City Attorney offered Appellants a $5,000 grant in exchange for permission to demolish their homes. Then, by letter dated January 26, 2001, the EDA and City Attorney breached the agreement by enforcing a deadline and conditions that will disqualify Appellants from the grant. (Exhibit A.) On January 23, 200 I, counsel for the other Appellants in this matter asked the EDA and City Attorney for "copies of any documents on which the City has requested, or expects to request a client's signature, since December 14,2000." The undersigned intended to rely on that information. In a letter dated January 26, 200 I, the City Attorney's Office denied counsel's request stating, "any documents you want copied should be specifically listed on a Public Records Act Request. II The denial by the City Attorney was arbitrary and improper, since that office has acted on similar requests from counsel representing landlords. An example of this is the Deborah Harding/2995 N. Mountain matter, which has been continued at least twice to accommodate the landlord, and to our knowledge (we were told by the City we would receive notice of the continuance and have yet to receive said notice) the hearing has not been re-set. The denial of counsel's request is especially troubling, since the City Attorney has set a deadline and declared that, "nobody wants the process delayed. II GROUNDS FOR APPEAL Appellants specifically contend that the actions and determinations appealed are arbitrary, 20 unreasonable and contrary to the spirit and letter of Chapters 8.90 and 15.55 of the Municipal Code. 21 Appellants further contend that, as a result of those actions and determinations, Appellants will be 22 deprived of rights and property, without due process and equal protection, and that they have been 23 denied the assistance of counsel. 24 This appeal is appropriate, pursuant to Section 2.64.010, because Appellants are aggrieved 25 by, dissatisfied with and expecting to the actions and determinations identified above. The appeal 26 is also appropriate, pursuant to section 2.64.010, because such actions and determination were 27 pursuant to City ordinances, rules and/or regulations, including, without limitation, the provisions 28 of the Municipal Code of the City of San Bernardino. APPEAL TO THE COMMON COUNCIL -4- I This appeal is timely, pursuant to Section 2.2.64.040, having been brought within 15 days 2 of the subject actions and within 10 days of a written notice of those actions and proceedings. The 3 appeal is not precluded, pursuant to Section 2.64.020, by any other ordinance, resolution or 4 provision of the Municipal Code. 5 6 VI. RELIEF REQUESTED: 7 Appellants respectfully request that the Council investigate the actions and determination 8 identified above and reverse those actions and determinations to find that: 9 I) Appellants have demonstrated a good faith effort to find replacement housing and have 10 qualified for the City's financial assistance, including an extension of their motel stay. II 2) Appellants be granted $5,000 to be applied toward either (a) the purchase of replacement 12 housing, (b) the rental of replacement housing or (c) the repair of their present homes. 13 3) 14 15 4) The EDA has violated its state policy regarding direct communication with persons represent by counsel. The City Attorney has arbitrarily enforced the requirement of Freedom ofInformation Act 16 Requests to deny or delay requests for documents. 17 18 Respectfully submitted this 31st day of January, 2001 INLAND COUNTIES LEGAL SERVICES 19 20 BV~~ 21 ROBERt S. RODDI ,B#75478 Attorney at Law 22 23 24 25 26 27 28 APPEAL TO THE COMMON COUNCIL - 5 - City of San Bernardino ECONOMIC DEVELOPMENT AGENCY Redevelopment. Community Development. Housing' Business: Recruitment, Retention, Ravitalization . Main Street. Inc. .. January 25, 200 I ADRIANA DELGADO & FAMILIA # 306 & 307 EZ-8 MOTEL 1750 S. Waterman Ave San Bernardino CA. 92408 RE: TERMINACION DE RESPONSABLIDAD FINANCIAL DE EL EZ-8 MOTEL ENERO 31, 2001 PARA RESIDENTES DE CYPRESS INN MOBILE HOME PARK Estimadas Familias, Solamente les queremos recordar de la carta que les entregamos anterior el dia de Enero II, 200 I de la terminacion de sus cuartos en el EZ-8 MOTEL el dia miercoles Enero 31, 200 I altiempo de salida. Este dia es el ultimo dia que la Agencia sera responsable financial para sus cuartos en el motel. Si se gustan quedar podran hacer areglos con el manijamiento de el motel. Es muy importante tambien que nos traigan la informacion sobre sus contratos de vivienda sea, departamento, casa de renta, traila 0 vivienda de comprar antes de 01131/2001 sin el contrato.no es posible de empesar eltransmite de su asistencia financial. Muchas gracia~ por louo su asistencia; si tienen qualquier pregunta favor de iiamar (909) 663-1044. Sinceramente, ", /fn ' rl d~ ..'., Maggie Pacheco, Director Housing & Community Development EXHIBIT A 201 North E Street. Suite 301' San Bernarclino. California 9240 I,IS07' (909) 663.1044 . flU (909) 888-9413 . ' . www.sanbernardil1o.eda.org. OFFICE OF THE CITY CLERK RACHEL G. CLARK, C.M.C. . CITY CLERK ,'~ P,O, Box 1318. San Bernardino' CA 92402 300 North "D" Street. San Bernardino' CA 92418-0001 909.384.5002 . Fax: 909.384.5158 Business Registration Division: 909.384.5302 Passport Acceptance Facility: 909.384.5128 www.cLsan-bernardino.ca.us February 16, 2001 Irene C. Morales, Attorney-at-Law Robert S. Roddick, Attorney-At-Law Inland Counties Legal Services 715 North Arrowhead Avenue, Suite 113 San Bernardino, CA 92401 Re: Appeal to the Common Council and Request for Stay Certain Actions and Determinations of the Economic Development Agency and the Office of the City Attorney Appellants: Javier Calderon, Efrain Quintero, Adriana Quintero-Delgado and Fermin Tierra Blanco Dear Ms. Morales and Mr. Roddick: Please be advised that your appeal to the Common Council has been scheduled to be heard at 3 p.m., Tuesday, February 20, 2001, in the Council Chambers of City Hall, 300 North "D" Street, San Bernardino, California. If you have any questions, please do not hesitate to contact this office at (909) 384- 5102. Sincerely, (--I b' C'., L \j\:...c.l'~' U.A...IC-, Rachel G. Clark, CMC City Clerk CITY OF SAN BERNARDINO ADOPTED SHARED VALVES: Integrity' Accountability' Respect for Human Dignity' Honesty cR.'I1 :J./~(J/OI