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142problem rentals are on lakeshore, this will not solve every issue. Doing this could <br />143further complicate enforcement. <br />144 <br />145Beyond what is summarized above, and depending on what option the Council directs staff to <br />146pursue, staff would note the following additional regulatory controls will likely be necessary: <br />147 Certain definitions and related use tables (principal and/or accessory uses) within the <br />148residential districts of the Zoning Code may need to be amended to ensure clarity on what <br />149is, and is not, allowed in residential rentals. This cannot be fully envisioned until staff <br />150understands what path the Council desires to take regarding short-term rentals. <br />151 Ancillary amendments, not yet envisioned, may be necessary to ensure certain <br />152restrictions do not interfere with one another. For example, if the Council wishes to <br />153 pursue the business license option, wewill have to make reference to this in existing <br />154 Chapter 907. Staff will resolve these consistency amendments once it is clear which <br />155 regulatory path Council wishes to pursue. <br />156 <br />157 REQUESTED COUNCIL ACTION <br />158 Staff requests the City Council review the information provided herein and provide direction to <br />159 staff on requested ordinance amendments to be considered at a future Council meeting. <br />160 <br />161 Prepared by: Dave Englund, Building Official, david.englund@cityofroseville.com,(651) 792-7087 <br />162 <br />163 Attachments: A: Draft Ordinance Language –Chapter 907 (avoids distinction of short-term rental) <br />164 B: Draft Ordinance Language – Chapter 907 (bans rentals less than 30 days) <br />165 C: Draft Ordinance Language – Chapter 909 (creates a business license for rentals less than 30 <br />166 days) <br />167 D: August 24, 2020 City Council meeting minutes <br /> <br />