RULE NO.: RULE TITLE:
61G4-12.011: Definitions
NOTICE IS HEREBY GIVEN that Construction Industry Licensing Board has received the petition for declaratory statement from M. Baird, Esq., on behalf of Poole & Kent Company of Florida, Inc., filed on December 15, 2011.The petition seeks the agency's opinion as to the applicability of Sections 489.13(1), 489.105(3)(a),(l),(m) and (n), 489.113(3)(d), F.S., and Rule 61G4-12.011(4), F.A.C. as it applies to the petitioner.
The petition seeks the Board’s interpretation of Sections 489.13(1), 489.105(3)(a),(l),(m) and (n), 489.113(3)(d), F.S., and Rule 61G4-12.011(4), F.A.C., and whether a mechanical contractor’s license is required to perform the mechanical work on wastewater treatment facility projects, or whether the mechanical work on such projects may be self-performed by general contractors, even if they do not also possess a mechanical contractor’s license.
A copy of the Petition for Declaratory Statement may be obtained by contacting: Drew Winters, Executive Director, Construction Licensing Board, P.O. Box 5257, Tallahassee, Florida 32314-5257.
Please refer all comments to: Drew Winters, Executive Director, Construction Licensing Board, P.O. Box 5257, Tallahassee, Florida 32314-5257.