HomeMy WebLinkAboutItem 60 - 09-23-2020 - DESC - Reply ISO Mtn for ReconsiderationITEM NO. 60
HEX-000723
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DOWNTOWN EMERGENCY SERVICE CENTER’S
REPLY IN SUPPORT OF ITS MOTION FOR
RECONSIDERATION -- 1
NORTHWEST RESOURCE LAW PLLC
101 Yesler Way, Suite 205
Seattle, WA 98104
206.971.1564
BEFORE THE CITY OF RENTON
COMMUNITY AND ECONOMIC DEVELOPMENT
IN RE THE MATTER OF THE APPEAL
BY:
RENTON HOTEL INVESTORS, LLC,
DOWNTOWN EMERGENCY SERVICE
CENTER,
KING COUNTY,
Appellants.
No. CODE-20-000321
DOWNTOWN EMERGENCY SERVICE
CENTER’S REPLY IN SUPPORT OF ITS
MOTION FOR RECONSIDERATION
DESC currently uses the Renton Red Lion to temporarily house people who cannot reside
at DESC’s Seattle shelter because of the risk of spread of COVID-19. The Final Decision
correctly held that this use is a “hotel” use under the Renton Municipal Code, just as it would be
a hotel use if people were staying there because they had been driven from their homes by a
wildfire, earthquake, storm, or other disaster. See Final Decision, 12. The Final Decision also
correctly held that DESC’s delivery of food to its clients’ rooms to discourage them from going
out into the community, increasing the risk of spreading COVID-19, does not keep DESC’s use
from being a hotel use, any more than delivery of room service is inconsistent with a hotel use in
any case. Id. at 14. The Final Decision incorrectly determined, however, that what the Final
Decision called the “day use” of the Red Lion—DESC’s case management and crisis
intervention services—was a “social service use,” which could only be permitted if DESC
HEX-000724
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DOWNTOWN EMERGENCY SERVICE CENTER’S
REPLY IN SUPPORT OF ITS MOTION FOR
RECONSIDERATION -- 2
NORTHWEST RESOURCE LAW PLLC
101 Yesler Way, Suite 205
Seattle, WA 98104
206.971.1564
pursued an unclassified use interpretation and then obtained a conditional use permit, necessarily
a discretionary decision by the City.
DESC submitted its Motion for Reconsideration and the Declaration of Daniel Malone in
Support of [Its] Motion for Reconsideration to make two points. First, the services provided at
the Renton Red Lion are not open to members of the public at large, but only to clients of DESC
who are being temporarily housed at the Red Lion. The impacts (if any) of these services are
therefore much more limited than if members of the public were brought to the property to
receive the services. Second, and critically, the services are essential in light of the disabilities of
DESC’s clients. DESC cannot operate its temporary shelter at the Renton Red Lion—and
implement the Health Officer’s order—without providing these necessary services. A
determination that DESC cannot provide these services, or cannot provide them without a
conditional use permit which the City would have discretion to deny, would preclude DESC
from de-intensifying its shelter and thereby meeting the King County Health Officer’s
objectives.
The City also argues that “DESC submits no evidence as to what prevents it from
relocating the residents of its shelter to a legally-zoned location where its residents can live
safely and long-term . . . .” City of Renton’s Resp. Br., 2. To the contrary, King County
provided detailed evidence that the Renton Red Lion was the only location that King County
could identify that was suitable for temporary relocation of DESC’s shelter. See Declaration of
Bryan Hague. The Final Decision held that “[t]he County has clearly taken an extensive effort in
finding a suitable location for its shelter and has reasonably concluded that other sites are not
reasonably available.” Final Decision, 8. The City has no zone that allows siting of a social
service organization without a hearing examiner conditional use permit. See RMC 4-2-060.G.
Therefore, assuming the Final Decision is correct that DESC requires an unclassified use
interpretation and a conditional use permit, “evidence” regarding relocation to a “legally-zoned
location” is not only irrelevant, but nonexistent.
HEX-000725
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DOWNTOWN EMERGENCY SERVICE CENTER’S
REPLY IN SUPPORT OF ITS MOTION FOR
RECONSIDERATION -- 3
NORTHWEST RESOURCE LAW PLLC
101 Yesler Way, Suite 205
Seattle, WA 98104
206.971.1564
The City has made it clear that it will do everything it can to preclude the permitting of
DESC’s use of the Renton Red Lion as a temporary shelter for individuals displaced from
DESC’s main shelter by the pandemic. Its Motion for Clarification asks the Examiner to state
that the portions of the Final Decision regarding the unclassified use interpretation and the
relationship between the City’s zoning code and the power of the King County Health Officer in
a pandemic are dicta – something the City can ignore. Its response to DESC’s Motion for
Reconsideration suggests that it will attempt to require a showing that there is no place else that
DESC’s shelter could go as a precondition of finding that it is an unclassified use.
But the Final Decision should not have sent DESC down that winding path. In the
absence of the ability to provide the services that the Final Decision describes as the “day use” of
the Red Lion, which are essential to address the disabilities of its clients, DESC cannot
temporarily house its clients at the Red Lion, and DESC’s hotel use for those people who have
been driven from its Seattle shelter will be impossible. That would clearly thwart the Health
Officer’s efforts to de-intensify the shelter. DESC respectfully asks that the Final Decision be
reconsidered.
DATED this 23rd day of September, 2020.
NORTHWEST RESOURCE LAW PLLC /
s/ Elaine L. Spencer________________
Elaine L. Spencer, WSBA #6963
espencer@nwresourcelaw.com
206.971.1569
Lisa Chaiet Rahman, WSBA #51531
lrahman@nwresourcelaw.com
206.971.1568
Attorneys for Downtown Emergency Service
Center
HEX-000726
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DOWNTOWN EMERGENCY SERVICE CENTER’S
REPLY IN SUPPORT OF ITS MOTION FOR
RECONSIDERATION -- 4
NORTHWEST RESOURCE LAW PLLC
101 Yesler Way, Suite 205
Seattle, WA 98104
206.971.1564
CERTIFICATE OF SERVICE
I declare under penalty of the perjury under the laws of the State of Washington that I
caused the foregoing documents to be electronically filed with the Hearing Examiner for the City
of Renton by email to cityclerk@rentonwa.gov, as well as served upon the following parties at
the email address listed below:
Sumeer Singla, WSBA #32852
WILLIAMS KASTNER & GIBBS PLLC
601 Union Street, Suite 4100
Seattle, WA 98101-2380
Attorney for Renton Hotel Investors, LLC
ssingla@williamskastner.com
Shane Moloney, WSBA #35433
Leslie C. Clark, WSBA #36164
Alex Tuttle, WSBA #41743
CITY OF RENTON
1055 S. Grady Way
Renton, WA 98057
Attorneys for City of Renton
smoloney@rentonwa.gov
lclark@rentonwa.gov
atuttle@rentonwa.gov
srary@rentonwa.gov
Howard Schneiderman, WSBA #19252
Youn-Jung Kim, WSBA #23516
Lena Madden, WSBA # 41246
DANIEL T. SATTERBERG, King County Prosecuting
Attorney
W400 King County Courthouse
516 Third Avenue
Seattle, Washington 98104
Attorneys for King County
howard.schneiderman@kingcounty.gov
jina.kim@kingcounty.gov
lena.madden@kingcounty.gov
Chip Vincent, Administrator
Dept. of Community & Economic
Development
1055 South Grady Way
Renton, WA 98057
cvincent@rentonwa.gov
Phil Olbrechts, Hearing Examiner
Renton City Hall – 7th Floor
1055 S. Grady Way
Renton WA 98057
olbrechtslaw@gmail.com
HEX-000727
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DOWNTOWN EMERGENCY SERVICE CENTER’S
REPLY IN SUPPORT OF ITS MOTION FOR
RECONSIDERATION -- 5
NORTHWEST RESOURCE LAW PLLC
101 Yesler Way, Suite 205
Seattle, WA 98104
206.971.1564
DATED this 23rd day of September, 2020, in Seattle, Washington.
s/Eliza Hinkes
Eliza Hinkes, Paralegal
HEX-000728