Florida Building
Commission
December 12, 2014
Legal Report
Plaza Resort
600 N. Atlantic Ave,
Daytona Beach,
Florida
ACCESSIBILITY TECHNICAL ADVISORY
COMMITTEE (TAC)
DS2014-129 by David
Kramer, Building Code Administrator of University of Florida
Question: Would a
shower curtain rod with the height of 74inches (AFF) be considered a head
obstruction under the 80 inch vertical clearance specification in Section 307.4 of the 2010
Florida Building Code, Accessibility for a person who is visually impaired?
Question 2: Would a toilet room, restroom be considered within the definition
of Circulation Path under the “not limited” to part of the definition?
Committee Action: Deferred to allow the applicant to
provide more information including cutsheets and drawings of shower stalls.
DS-2014-142 by Robert
S. Fine, Esq. of Greenberg Traurig, P.A.
Question
1: Are multifamily residential buildings/developments covered by the
Rehabilitation Act and/or the ADA required by the 2012-FAC to provide elevators
when the building/developments would otherwise not be required to provide them
by the Rehabilitation Act and/or ADA, as applicable to the particular project?
Answer: The answer is
No. Section 553.509,
Florida Statutes, exempts “[f]acilities, sites, and spaces exempted by s. 203 of the
Standards,” from “the duty to provide vertical accessibility to all levels above and below
the occupiable grade level, regardless of whether the standards [sic] require
an elevator to be installed in such building, structure, or facility…” § 553.509(1)(g), F.S. This
exemption is restated in Section 201.1.1 of the 2012-FAC. Section 203.8 of the Standards provides that dwelling
units that are not required to provide
the enhanced accessibility features required by the Rehabilitation Act or the ADA (i.e., Sections 809.2 through
809.4) are not required to be on an accessible route including a route
that provides vertical accessibility. Therefore, in a multifamily residential
building/development where all of the units that are required to have the enhanced accessibility features of
Sections 809.2 through 809.4 (by HUD or DOJ regulations) are provided on the ground floor, the remaining
floors above and below the ground
floor are not required to be on an accessible route that provides vertical accessibility.
SPECIAL OCCUPANCY AND
MECHANICAL TECHNICAL ADVISORY COMMITTEES (TAC)
In separate meetings, the Special Occupancy TAC and
the Mechanical TAC took up the request for declaratory statement, which
resulted in the same recommendation.
DS 2014-135 by Michael Ippolito, P.E.
Petition
has no particular facts and circumstances and calls for a statement of general
applicability, therefore this petition was denied.