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Report To: Planning and Development Committee
Date of Meeting: March 11, 2019
Report Number: PSD -017-19 Resolution: PD -033-19
File Number: PLN 12.12 By-law Number:
Report Subject: Cannabis Retail Stores Siting Poli
Recommendations:
1. That Report PSD -017-19 be received;
2. That the draft Municipal Cannabis Retail Store siting policy (Attachment 1 to Report
PSD -017-19) be approved; and
3. That any interested parties be notified of Council's decision.
Municipality of Clarington
Report PSD -017-19
Report Overview
Page 2
This Report provides general information on the staff recommended Municipal Cannabis
Retail Store siting policy for Council's review and adoption, in support of Council's decision
of January 15, 2019 to "Opt In".
1. Background
1.1 On January 15, 2019 Clarington Council approved Resolution #C-016-19, which permits
cannabis retail stores in the Municipality of Clarington. That Resolution also directs staff
to draft a Municipal Cannabis Retail Store siting policy for Council's approval.
1.2 The primary purpose of the siting policy is to provide direction to municipal staff when
reviewing individual applications for retail cannabis stores in Clarington and preparing
written submissions to the Alcohol and Gaming Commission of Ontario (ACCO).
1.3 The siting policy will also assist prospective cannabis retailers in identifying appropriate
locations for cannabis retail stores in the Municipality.
2. Scope of Siting policy
2.1 The Cannabis License Act, 2018 and O. Reg. 468/18 provide municipalities the
opportunity to provide written submissions in response to a proposed cannabis retail
store. A municipality has fifteen days to provide comments, once AGCO has posted an
application for a new store on their website.
2.2 O. Reg. 468/18 clearly states the AGCO will only consider written submissions that
address the public interest, which is defined as follows:
1. Protecting public health and safety;
2. Protecting youth and their access to cannabis; and
3. Preventing illegal cannabis activities.
2.3 The draft recommended Municipal Cannabis Retail Store Siting policy has been
developed based on the recommended draft statement developed by AMO, plus review
of the legislation, planning principles, and municipal staff input. Draft statements of other
municipalities have also been taken into consideration.
3. Existing Regulations and Standards
3.1 The Cannabis License Act, its associated Regulations, and the AGCO's Standards
provide some regulations for cannabis retail stores.
Municipality of Clarington Page 3
Report PSD -017-19
3.2 Subsection 20(1) of O. Reg. 468/18 states that licensees must ensure that no individual
who appears to be under 25 years of age is permitted to enter the cannabis retail store
unless they can produce photo ID. No one under the age of 19 is permitted in a cannabis
retail store.
3.3 The Cannabis License Act, 2018 and O. Reg. 468/18 provide the AGCO with the
authority to establish standards and requirements. These have been published as the
"Registrar's Standards for Cannabis Retail Stores." These Standards are the regulations
and requirements cannabis retail store licensees are required to adhere to. There are
strict store requirements in place for advertising, visibility of product, and access to the
product. Highlights of the Registrar's Standards include:
x Stores must have a secure, high resolution surveillance system and cannabis must
be securely stored at all times;
x Cannabis and accessories are prohibited from being visible from the exterior of the
premises;
x Licensees must take reasonable measures to ensure patrons are not purchasing
cannabis or accessories for minors;
x The exterior signage of stores must not communicate information about cannabis,
appeal to young persons, or promote cannabis in a positive manner; and
x Licensees may only promote cannabis within the store, and promotion is limited to
factual information (e.g. price and availability).
4. Correspondence
4.1 The Municipality has received correspondence from Municipal Solutions with a wording
request for zoning or licensing (attachment 2). They request that preference be given to
cannabis retail stores "that have a Health Canada approved medicinal cannabis health
clinic with a medical practitioner on site".
4.2 The Municipality is prohibited from regulating cannabis retail stores through zoning or
licensing and thus unable to satisfy this request. As well, during the 15 -day notification
period, staff would be unable to determine if a proposed cannabis retail store would have
a health clinic or medical practitioner on site.
4.3 The Municipality has received correspondence from the Peterborough, Victoria,
Northumberland, and Clarington Catholic District School Board (attachment 3). Their
letter expresses concern that the AGCO's 150 metre minimum setback from schools is
too close, and requests the Municipality implement a distance of 500 metres. Their
concern is related to the perception that there is nothing preventing students from
gathering near these stores or students recruiting adults to make purchases on their
behalf.
Municipality of Clarington
Resort PSD -017-19
Page 4
4.4 The Municipality is prohibited from regulating cannabis retail stores through zoning and is
thus unable implement a greater distance from schools. Furthermore, the AGCO has
indicated that they will not consider greater minimum distances to schools as they have
decided 150 metres is sufficient in light of other measures to ensure youth are not
exposed to cannabis. Nuisance by-laws (such as By-law 2011-099) can be used to
disperse students if they are found gathering around cannabis retail stores. As noted
above, the Registrar's Standards include the requirement that licensees must take
measures to ensure patrons are not purchasing for youths. It should also be emphasized
that persons under 19 are not only prohibited from purchasing cannabis, but are
prohibited from even entering cannabis retail stores.
4.5 The Municipality received a letter from Dr. Robert Kyle, Commissioner & Medical Officer
of Health, in which he expresses numerous concerns about cannabis use in general
(attachment 4). Dr. Kyle's letter lists a great number and variety of uses that he feels
should have minimum setbacks from cannabis retail stores.
4.6 As noted, municipalities are prohibited from zoning cannabis retail stores, meaning the
Municipality cannot impose setbacks. However, some of the uses Dr. Kyle lists fall within
the defined "public interest" and are addressed in the Siting policy (e.g. discouraging
cannabis retail stores nearby properties designed to serve youth).
5. Concurrence
This report has been reviewed by the Municipal Clerk and Municipal Solicitor who concur
with the recommendations.
6. Conclusion
In support of Council's decision to "opt in" and allow for cannabis retail sales within the
Municipality of Clarington, the draft Municipal Cannabis Retail Store siting policy
(attachment 1) is recommended to Council for adoption. The draft Policy contemplates
the legislative restrictions, planning principles, the health and safety of our community,
the need for limiting access to cannabis for our youth, and the desire to mitigate illegal
cannabis activities.
Municipality of Clarington
Resort PSD -017-19
Page 5
a
Submitted by:
Reviewed by:
Michael Seamen, MCIP, RPP, Andrew C. Allison, B. Comm, LL.B
Director of Planning Services CAO
Staff Contact: Mark F. Jull, Planner 1, 905-623-3379 x2426 or mjull@clarington.net
Attachments:
Attachment 1 — Municipal Cannabis Retail Store Siting policy
Attachment 2 — Correspondence from Municipal Solutions
Attachment 3 — Correspondence from Peterborough, Victoria, Northumberland, and Clarington
Catholic District School Board
Attachment 4 — Correspondence from Dr. Robert Kyle
A list of interested parties is available in the Planning Services Department.
\\Netapp5\Group\Planning\^Department\PLN Files\PLN 12 Commercial\PLN 12.12 Cannabis Retail Stores\Staff Reports\PSD-017-19\PSD-017-19.Docx
Attachment 1 to
Report PSD -017-19
Municipal Cannabis Retail Store Siting Policy
March 18, 2019
On January 15, 2019 Clarington Council approved Resolution #C-016-19, which permits
cannabis retail stores in the Municipality of Clarington. That Resolution also directed staff
to draft a Municipal Cannabis Retail Store siting policy for Council's approval.
1 Purpose
The purpose of this siting policy is to provide direction to municipal staff when preparing
written submissions to the Alcohol and Gaming Commission of Ontario (ACCO) if a
cannabis retail store is proposed to be located within the Municipality of Clarington.
This siting policy will also assist prospective recreational cannabis retailers in identifying
appropriate locations for cannabis retail stores in the Municipality.
2 Background and Context
Clarington has chosen to allow cannabis retail stores within the Municipality.
The AGCO is the provincial authority that licenses cannabis retail operators, authorizes
cannabis retail locations, and licenses senior store staff. Municipal governments have
no licensing authority. Municipal governments are prohibited from passing a by-law for
the purpose of regulating cannabis retail stores any differently than other retail stores.
The AGCO regulates and reviews all aspects of the retail operation including municipal
and public input, and that the proposed store location is consistent with the public
interest as defined in the regulations.
The AGCO will not directly inform the Municipality of an application for a cannabis retail
store, but will post a notice on the AGCO's website. The AGCO will consider written
submissions from the Municipality for a period of 15 days after the application notice
has been posted.
Only written submissions that address the public interest (as defined) will be considered
by the ACCO.
The public interest is defined as:
1. Protecting public health and safety
2. Protecting youth and their access to cannabis
3. Preventing illegal cannabis activities
Policy # - Cannabis Retail Stores Page 1 of 4
The following provides municipal staff with guidance when preparing written comments
to be submitted to the AGCO when a cannabis retail store is proposed in the
Municipality.
3 Definitions
Cannabis Retail Store:
A store licensed by the Alcohol and Gaming Commission of Ontario to sell cannabis.
4 Principles for Cannabis Retail Store Locations
4.1 Relationship to Other Applicable Law
Land Use Planning: The provincial licensing process does not remove the requirement
to comply with the zoning by-law and other municipal planning documents. The
definitions within the municipality's Official Plan and Zoning By-law are applicable to all
retail, including cannabis retail stores. Retail sale of cannabis from a provincially
licensed store is legal and the Municipality permits cannabis retail stores where retail
uses are permitted, subject to the policy directions outlined in this Cannabis Retail Siting
policy.
Municipal Building Inspections: While the licensing of the store operation is the
responsibility of the AGCO, the Building Code applies to cannabis retail store locations.
Therefore, where a building permit is required, the Municipal Building Inspector will
undertake duties as usual. Ontario Fire Code compliance is also mandatory.
4.2 Permitted Zones
Subject to the policy directions outlined in this Cannabis Retail Store Siting policy and
the respective Zoning By-laws' regulations, cannabis retail stores are permitted where
Zoning By-law 84-63 permits a "Retail Commercial Establishment" or a "Retail Store."
These zones include but are not limited to:
x C1 (including all C1 exception zones that permit a "Retail Commercial
Establishment");
x C3 (including all C3 exception zones that permit a "Retail Store");
x C8 (including all C8 exception zones that permit a "Commercial/Retail
Establishment); and
x C9 (including all C9 exception zones that permit a "Commercial/Retail
Establishment).
Policy # - Cannabis Retail Stores Page 2 of 4
4.3 Discouraged Zones
The Municipality discourages cannabis retail stores in buildings or neighbourhoods
where the primary use is residential but commercial uses are permitted.
The discouraged zones include but are not limited to the following zones in Zoning By-
law 84-63:
x Neighbourhood Commercial (C2) Zone (including all C2 exception zones); and
x Mixed -Use (MU) Zones which permit buildings containing apartments dwellings
and at least one non-residential use (usually on the main floor).
The discouraged zones include but are not limited to the following zone in Zoning By-
law 2005-109:
x Neighbourhood Commercial (C6).
4.4 Cannabis Retail Stores and Sensitive Uses
Only written submissions that address the public interest (as defined) will be considered
by the AGCO.
The public interest is defined as:
1. Protecting public health and safety
2. Protecting youth and their access to cannabis
3. Preventing illegal cannabis activities
4.5 Protecting Public Health and Safety
In order to help protect public health and safety, a cannabis retail store should not be
located within 150 metres of the following:
x Other cannabis retail stores, which helps to protect public health and safety by
encouraging a diversity of uses in commercial areas and by dispersing stores
which may lend themselves to smoking or consumption within the immediate
vicinity of the stores; and
x Residences of the most vulnerable people in the community, which include
addiction treatment centres and community based residential facilities (halfway
houses).
Policy # - Cannabis Retail Stores Page 3 of 4
4.6 Protecting Youth and their Access to Cannabis
In order to protect youth and restrict their access to cannabis, Section 11 of O. Reg.
468/18 prohibits the AGCO from permitting a cannabis retail store within 150 metres of
a school.
For the same reasons, the Municipality discourages cannabis retail stores from
properties within 150 metres of uses designed to serve youth.
These uses include:
x Libraries and recreation facilities that provide services for youths and families;
x Parkland designed for youth;
x Municipally operated drop-in centres for youth, including but not limited to:
o The Firehouse Youth Centre (132 Church);
o The Loft (1595 Prestonvale); and
o The Newcastle Youth Centre (1780 Rudell).
4.7 Preventing Illegal Cannabis Activities
An express purpose of legalizing cannabis is to displace the illegal cannabis market. To
assist in preventing illegal cannabis activities, cannabis retail stores are encouraged to
adhere to the following general principles to help ensure equity of access to legal
cannabis:
x Be located in different commercial areas of the Municipality;
x Be located in the Municipality's "Gateway Commercial Centres" and "Urban and
Village Centres" as defined in the Official Plan; and
x Be accessible by transit and active transportation.
Policy # - Cannabis Retail Stores Page 4 of 4
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Nortlrumbertv4d and Clalrngton
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PETER L. ROACH
CATHOLIC December 18, 2018
E1�uc,aTlc�N
CENTRE
The Honourable Lisa M. Thompson,
Minister of Education
Mowat Block, 22nd Floor
900 Bay Street
Toronto, Ontario M7A 1 L2
The Honourable Caroline Mulroney
Attorney General
McMurtry -Scott Building
720 Bay Street, 11th Floor
Toronto, ON M7A 2S9
Dear Minister Thompson and Minister Mulroney:
4110 DEFIF 1-11
8F 1-10-11-894,A0,11
VISION
Achieving Excellence in Catholic Education
LEARN • LEAD • SERVE
'
�*AN F 8 X 019
MUNICIPAUTY OF C,IARINGTON
MANOR'S OFFICE
We are writing on behalf of the Peterborough Victoria Northumberland and Ciarington
Catholic District School Board to express our concern over the decision to establish a
minimum distance of 150 metres between the proposed Cannabis Stores and schools
operated by district school boards. In short, it is our firm conviction that this distance
is much too close. It puts these stores in close proximity to young students, and while
there are rules in place to restrict access to the stores to adults over the age of 19,
there are no safeguards to prevent or even discourage the gathering of students near
those stores and the potential recruitment of adults to make purchases on their behalf,
or to discourage the sale of cannabis to young people.
The use of cannabis by young people has been proven to be destructive. The brain
development of a young person is not complete until the early twenties, and cannabis
use has been shown to have adverse effects both on development and on the mental
health of young people.
We strongly encourage that your government reconsider this decision and implement
a safer, minimum distance of 500 metres.
We appreciate your attention to this matter and look forward to a response at your
earliest convenience.
With kind regards,
Michelle Griepsma
Chairperson
.12
Michael Nasello
Director of Education
135.5 I,ANSDOWNE. S'T'itt F[' WES'I' • PFTERROKOMA-1 • ONTARIO • K`11 7M3 • HI: r7051748-4861 • FA\: (705) 748,9734 • 1-800-461.8009
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cc.: Nancy Naylor, Deputy Minister
Denise Dwyer, Assistant Deputy Minister
Beverley Eckensweiler, President, Ontario Catholic Trustees Association
Jim Costello, President, Council of Directors of Education
Diane Therrien, Mayor, City of Peterborough
Andy Letham, Mayor, City of Kawartha Lakes
.-Adrian Foster, Mayor, Municipality of Clarington
Mark Lovshin, Warden, County of Northumberland
Hon. Laurie Scott, MPP, Haliburton-Kawartha Lakes -Brock
David Piccini, MPP, Northumberland -Peterborough South
Dave Smith, MPP, Peterborough-Kawartha
Lindsey Park, MPP, Durham
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I Interoffice Memorandum
The Regional Date: October 24, 2018
Municipality of
Durham To: Brian Bridgeman, Commissioner of Planning &
Health Department Economic Development
605 ROSSLAND RD. E.
From: Dr. Robert Kyle, Commissioner & Medical Officer of
LEVEL 2
PO BOX 623
Health
WHITBY, ON L1 N 6A3
CANADA
Subject: Bill 36 and Suggested Setbacks for Cannabis
905-668-7711
Retail Store Locations
1-800-372-1102
durham.ca
On October 17, 2018, Bill 36, the Cannabis Statute Law Amendment Act,
Dr. Robert Kyle
Commissioner & Medical
2018, received Royal Assent. The Bill amends various Acts and enacts
Officer of Health
one new Act in relation to the use and sale in Ontario of cannabis and of
vapour products.
As you may know, cannabis use carries significant health risks, especially
if used frequently and/or use begins at an early age (CAMH, 2014). When
used frequently, cannabis is associated with increased risk of problems
with cognitive and psychomotor functioning, respiratory problems, cancer,
dependence, and mental health problems including anxiety, depression
and schizophrenia.
There is little evidence that illustrates safe recreational cannabis use for
individuals and communities. It is very difficult to tighten regulations once
in place. It is best to take an approach that aims to prevent future harms,
rather than adding regulations later. Efforts should be made to maximize
benefits while minimizing harms, promoting health and reducing inequities
for individuals, communities and societies (CCSA, 2015; Council of
CMOHs of Canada 2016).
Kids are vulnerable to negative long-term effects of cannabis use, since
their brains are still developing. Use of cannabis before age 25 can cause
long-term problems with attention span, memory, problem -solving and
emotional control (CCSA, 2015).
If you require this information in an accessible format, please contact the Durham Health Connection Line at 1-800-841-2729.
The protection of our kids is paramount and should be as important, if not
more so, than the economic interests of cannabis and vapour product
retailers and suppliers.
A municipality may pass a resolution by January 22, 2019, prohibiting
cannabis retail stores from being located in the municipality. Such a
prohibition may be lifted by a later resolution passed by the municipality,
but a municipality's decision to do so is final and may not be further
reversed.
For municipalities that do not prohibit cannabis retail stores, the Registrar
of the Alcohol, Cannabis and Gaming Commission of Ontario shall give
notice of an application for a retail store:
x by displaying a notice at the location of the proposed cannabis
retail store;
x by posting a notice on the commission's website; and
x in any other manner the Registrar considers appropriate
Notice shall include a request for the municipality, its residents and, if the
municipality is a lower -tier municipality, the upper -tier municipality of which
it forms a part, to make written submission to the Registrar, which must be
made no later than 15 days after the notice is first given, as to whether the
issuance of the retail store authorization is in the public interest, having
regard to the needs and wishes of the residents.
The Registrar shall refuse to issue a retail store authorization if the
proposed cannabis retail store would be located less than the distance
specified by or determined in accordance with the regulations from a
school, as defined in the Education Act.
Municipalities have the opportunity to influence location, setbacks and
density thresholds of cannabis retail stores, through the Registrar's notice
of application written submission process.
The following setbacks and density measures related to cannabis retailers,
ought to be considered:
x Child care centres
x Post -secondary schools
x Elementary and secondary schools
x Beer and LCBO stores
x Tobacco and vaping product retailers
x Gaming facilities, such as Great Blue Heron Casino in Scugog and
Ajax Downs
If you require this information in an accessible format, please contact the Durham Health Connection Line at 1-800-841-2729.
x Healthcare facilities, such as hospitals and mental health and addition
services
x Long-term care homes
x Recreation centres
x Arcades, amusement parks, and other places where children and
youth congregates
x High priority neighbourhoods where there is a higher degree of
crime or higher socioeconomic disparity. The Health Department's
Health Neighbourhoods information can be found here:
https://www.durham.ca/en/health-and-wellness/health-
neighbourhoods.aspx
x Separation distances between sites to control cannabis retail
density
We would appreciate it if you would convey this advice to your lower -tier
counterparts if and when they plan to make written submissions as
regards notices of applications of cannabis retail store authorizations in
their respective municipalities.
Respectfully submitted,
D r. Ro Iffier-(- K L,,
R.J. Kyle, BSc, MD, MHSc, CCFP, FRCPC, FACPM
Commissioner & Medical Officer of Health
If you require this information in an accessible format, please contact the Durham Health Connection Line at 1-800-841-2729.