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3, Request for Temporary Food Permit Annual Fee— Chef on Call. Glen Harrington stated that a <br /> request for a temporary food permit had been submitted by Chef on Call. The temporary food <br /> permit was submitted for use at Naukabout Brewery but the owner has requested a one-time <br /> annual permit for other events. The ServSafe certificate was provided, and the allergy awareness <br /> certificate was requested but not provided. Mr. Harrington stated that he had left a message for <br /> the applicant, and later spoke to Peter Murner of Naukabout who indicated that Chef On Call is <br /> not scheduled to return and will not be invited back. Mr. Harrington recommended that the <br /> board deny the request, based upon failure to supply required information. <br /> There being no further comments, laurel Almquist made a Motion to deny the request by Chief <br /> on Call for a temporary food permit annual fee,based upon failure to supply required information, <br /> Motion seconded by Brian Baumgaertel. VOTE: Unanimous (2-0). <br /> 4. Review Draft Tobacco Regulation. Glen Harrington stated that, at the public hearing on June 7th, <br /> both parties for and against the regulation were heard. Bob Collett and Sheryl Sbarra spoke in <br /> favor, and the retailers spoke against and/or posed questions. <br /> Mr. Harrington stated that he made changes and additions to the latest version based upon the <br /> feedback that was received, and based on several other items he neglected to add when <br /> converted from the old, existing regulations. The following comments were noted: <br /> a) On page 2, Mr. Harrington deleted the section about youth risk behavior surveys. <br /> Mashpee does not have current smoking data and no data that includes vaping. However, <br /> he used the 2015 Youth Risk Behavior Survey for all High Schoolers in the State. He added <br /> the paragraph. <br /> b) Mr. Harrington deleted Section 1)(2)(b)which was the requirement for the cessation sign. <br /> He stated that he believes there are better places to advertise cessation than at the point <br /> of sale. He indicated that he does not know how many store clerks have been asked <br /> where the state or local cessation programs are but that it is probably small. <br /> c) Mr. Harrington altered Section 1)(2)(c) as it seemed useless to notify the purchaser that <br /> they must be 21 to purchase tobacco products, when all the laws and regulations place <br /> the responsibility on the clerk and owner to restrict sales to minors. He further stated his <br /> opinion that it is more helpful to notify the public that use of tobacco products indoors is <br /> a violation of law(or regulation), <br /> d) Mr. Harrington added Section D(5)as it was not carried over from the existing regulation. <br /> e) Mr. Harrington deleted Section E(S) as it is his opinion that three sales to a minor by an <br /> establishment would never happen and it never has. It was noted that Barnstable only <br /> conducts two stings annually at each establishment, not three. He stated that <br /> enforcement is extremely strict and goes beyond the state's guidelines. <br /> f) In Section E(9)(a), Mr. Harrington added the word "than" to make the sentence make <br /> sense. <br /> g) In Section E(9)(c), Mr. Harrington changed the words "property line" to "structure" as it <br /> was described by Sheryl Sbarra. <br /> 2 <br />