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HomeMy WebLinkAboutMISC EMAILFECEIVE V OCT 0 4 2017 To whom It may concern, BY. Pursuant to a request by the St. Lucie County planning & Development services, Building & Code Regulation Division, from the zoning review relating to Parcel number 3422-441-0001-050/2 and permit numb 1 -0020 I submitting this letter of approval. I, Anthony Altino, do approve the remodel of units 7630, 7632, which were already combined, and 7634, which will all become one continuous space as per the plans submitted. In addition, I approve the tenant to acquire some additional space at the rear of unit 7636 to properly enlarge the bathroom to accommodate an ADA compliant facility in unit 7634 as per the plans. Please accept this explanation and approval as authorization to continue the review process and construction detailed as per the plans. Please contact us for any additional details or requests needed. Regards, Anthony Altino Owner Kings Plaza Inc. 7632 S US Hwy 1 Port St Lucie, FI 34952 Parcel Number: 3422-441-0001-050/2 Permit Number: 1710-0020 SCANNED BY St. Lucie County Response to comments. Permit # 1710-0020 Address: 7632 S. U.S. Hwy 1 Port St. Lucie, FI 34952 Parcel # 3422-441-0001-050/2 Zoning CG 1. Plans Examiner Electric a. Comment: Need to show all electrical, recp.lighting, panel feeders etc. complete electrical drawings, Walter Pride Sr. b. Response: Drawings have been added to reflect the items mentioned in the comment. 2. Plans Examiner Mechanical a. Comment: Please show that air handler units are not in what is considered attic space in accordance with 403.2.7.6 of the 2014 Florida Energy Code. (C403.2.7.6 Air -handling units. Air -handling units shall not be allowed in attics of commercial buildings.) b. Response: i. Attics are defined by the Florida Building Code as: 1. ATTIC. The space between the ceiling beams of the top story and the roof rafters. ii. Attics are defined by the Florida Building Code Energy Conservation as: 2. ATTIC. An enclosed, unconditioned space located immediately below an uninsulated roof and immediately above the ceiling of a building. In this particular instance the building envelope is at the metal decking on top to the barjoist with insulation and roofing. The space from the ceiling grid to the metal deck is conditioned air as the ceiling tile and grid have no insulation value to the space below or above its location and in this case the space above the ceiling grid is not an attic but a plenum and a conditioned interstitial space for service equipment and fixtures that does not meet the definition as described by the FBC noted above. 3. Plans Examiner Mechanical a. Comment: Please furnish a mechanical plan showing return grills, supply grills, and location of air handlers this is a change of occupancy type per 107.2.1 of the 2014 Florida Building Code. b. Response: Drawings have been added to indicate the change in occupancy and the HVAC systems are designed to meet the FBC requirements per the documents. Architecture I Planning 15294 101 Ter. N. I Jupiter, Florida 33478 1 Phone: 561.262.5494 1 www.archbidgcorp.com I Lic.#AA26001071 SCANNED BY St. Lucie Countv Response to comments. Permit # 1710-0020 Address: 7632 S. U.S. Hwy 1 Port St. Lucie, FI 34952 Parcel # 3422-441-0001-050/2 Zoning CG 1. Plans Examiner Electric a. Comment: Need to show all electrical, recp.lighting, panel feeders etc. complete electrical drawings, Walter Pride Sr. b. Response: Drawings have been added to reflect the items mentioned in the comment. 2. Plans Examiner Mechanical a. Comment: Please show that air handler units are not in what is considered attic space in accordance with 403.2.7.6 of the 2014 Florida Energy Code. (C403.2.7.6 Air -handling units. Air -handling units shall not be allowed in attics of commercial buildings.) b. Response: i. Attics are defined by the Florida Building Code as: 1. ATTIC. The space between the ceiling beams of the top story and the roof rafters. ii. Attics are defined by the Florida Building Code Energy Conservation as: 2. ATTIC. An enclosed, unconditioned space located immediately below an uninsulated roof and immediately above the ceiling of a building. In this particular instance the building envelope is at the metal decking on top to the bar joist with insulation and roofing. The space from the ceiling grid to the metal deck is conditioned air as the ceiling tile and grid have no insulation value to the space below or above its location and in this case the space above the ceiling grid is not an attic but a plenum and a conditioned interstitial space for service equipment and fixtures that does not meet the definition as described by the FBC noted above. 3. Plans Examiner Mechanical a. Comment: Please furnish a mechanical plan showing return grills, supply grills, and location of air handlers this is a change of occupancy type per 107.2.1 of the 2014 Florida Building Code. b. Response: Drawings have been added to indicate the change in occupancy and the HVAC systems are designed to meet the FBC requirements per the documents. Architecture I Planning 15294 101 Ter. N. I Jupiter, Florida 33478 1 Phone: 561.262.5494 1 www.archbidgcorp.com I Lic.#AA26001071 h c. The documents presented are by Procalcs, LLC independent of the building design changes for the purposes of the HVAC permit and to present calculated loads, equipment requirements and layout consistent with the change in occupancy. 4. Plans Examiner Mechanical a. Comment: Please show the assembly occupancy meeting the requirements for ventilation in the Florida Mechanical Code Chapter 4 as required in Section 1009.1 of the 2014 Florida Existing Building Code. b. Response: The ventilation requirements are calculated and prescribed by the Procalc, LLC submittal that conform to the ventilation requirements of the Florida Mechanical Code. 5. Plans Examiner Plumbing a. Comment: Please show the required hot water to all sinks per section 607.1 FBC 2014. b. Response: The plumbing drawings have been revised to reflect hot water to each of the required lavatories and the service sink. Temperature control faucets are specified to be used at each of the fixtures for compliance with tempered water for public use. Att9ti619 :44 4:9 rence L. Daugherty, LEED AP, RA, CGC ��s •�._.•.,.• Architectural Building Corp �cREL71 15294 101 Trl N Jupiter, FI 33478 AA26001071 Architecture I Planning 15294 101 Ter. N. I Jupiter, Florida 33478 1 Phone: 561.262.5494 1 www.archbldgcorp.com I Lic.#AA26001071 SCANNED BY St. Lucie Countv Response to comments. Permit # 1710-0020 Address: 7632 S. U.S. Hwy 1 Port St. Lucie, FI 34952 Parcel # 3422-441-0001-05012 Zoning CG 1. Plans Examiner Electric a. Comment: Need to show all electrical, recp.lighting, panel feeders etc. complete electrical drawings, Walter Pride Sr. b. Response: Drawings have been added to reflect the items mentioned in the comment. 2. Plans Examiner Mechanical a. Comment: Please show that air handier units are not in what is considered attic space in accordance with 403.2.7.6 of the 2014 Florida Energy Code. (C403.2.7.6 Air -handling units. Air -handling units shall not be allowed in attics of commercial buildings.) b. Response: i. Attics are defined by the Florida Building Code as: 1. ATTIC. The space between the ceiling beams of the top story and the roof rafters. ii. Attics are defined by the Florida Building Code Energy Conservation as: 2. ATTIC. An enclosed, unconditioned space located immediately below an uninsulated roof and immediately above the ceiling of a building. In this particular instance the building envelope is at the metal decking on top to the bar joist with insulation and roofing. The space from the ceiling grid to the metal deck is conditioned air as the ceiling the and grid have no insulation value to the space below or above its location and in this case the space above the ceiling grid is not an attic but a plenum and a conditioned interstitial space for service equipment and fixtures that does not meet the definition as described by the FBC noted above. 3. Plans Examiner Mechanical a. Comment: Please furnish a mechanical plan showing return grills, supply grills, and location of air handlers this is a change of occupancy type per 107.2.1 of the 2014 Florida Building Code. b. Response: Drawings have been added to indicate the change in occupancy and the HVAC systems are designed to meet the FBC requirements per the documents. Architecture I Planning 15294 101 Ter. N. I Jupiter, Florida 33478 1 Phone: 561.262.5494 1 www.archbidgcorp.com I Lic.#AA26001071 c. The documents presented are by Procalcs, LLC independent of the building design changes for the purposes of the HVAC permit and to present calculated loads, equipment requirements and layout consistent with the change in occupancy. 4. Plans Examiner Mechanical a. Comment: Please show the assembly occupancy meeting the requirements for ventilation in the Florida Mechanical Code Chapter 4 as required in Section 1009.1 of the 2014 Florida Existing Building Code. b. Response: The ventilation requirements are calculated and prescribed by the Procalc, LLC submittal that conform to the ventilation requirements of the Florida Mechanical Code. 5. Plans Examiner Plumbing a. Comment: Please show the required hot water to all sinks per section 607.1 FBC 2014. b. Response: The plumbing drawings have been revised to reflect hot water to each of the required lavatories and the service sink. Temperature control faucets are specified to be used at each of the fixtures for compliance with tempered water for public use. 'kAR9 619 . CGC rence L. Daugherty, LEED AP, RAArchitectural Building Corp15294 101 Trl N cLL r'�R�i Jupiter, FI 33478 AA26001071 Architecture I Planning 15294101 Ter. N. I Jupiter, Florida 33478 1 Phone: 561.262.5494 1 www.archbldgcorp.com I Lic.#AA26001071 SCANNED BY St. Lucie County Response to comments. Permit # 1710-0020 Address: 7632 S. U.S. Hwy 1 Port St. Lucie, FI 34952 Parcel # 3422-441-0001-050/2 Zoning CG 1. Plans Examiner Electric a. Comment: Need to show all electrical, recp.lighting, panel feeders etc. complete electrical drawings, Walter Pride Sr. b. Response: Drawings have been added to reflect the items mentioned in the comment. 2. Plans Examiner Mechanical a. Comment: Please show that air handler units are not in what is considered attic space in accordance with 403.2.7.6 of the 2014 Florida Energy Code. ' (C403.2.7.6 Air -handling units. Air -handling units shall not be allowed in attics of commercial buildings.) b. Response: I. Attics are defined by the Florida Building Code as: 1. ATTIC. The space between the ceiling beams of the top story and the roof rafters. ii. Attics are defined by the Florida Building Code Energy Conservation as: 2. ATTIC. An enclosed, unconditioned space located immediately below an uninsulated roof and immediately above the ceiling of a building. In this particular instance the building envelope is at the metal decking on top to the bar joist with insulation and roofing. The space from the ceiling grid to the metal deck is conditioned air as the ceiling tile and grid have no insulation value to the space below or above its location and in this case the space above the ceiling grid is not an attic but a plenum and a conditioned interstitial space for service equipment and fixtures that does not meet the definition as described by the FBC noted above. 3. Plans Examiner Mechanical a. Comment: Please fumish a mechanical plan showing return grills, supply grills, and location of air handlers this is a change of occupancy type per 107.2.1 of the 2014 Florida Building Code. b. Response: Drawings have been added to -indicate the change in occupancy and the HVAC systems are designed to meet the FBC requirements per the documents. Architecture I Planning 15294 101 Ter. N. I Jupiter, Florida 33478 1 Phone: 561.262.5494 1 www.archbldgcorp.com I Lic.#AA26001071 1 r c. The documents presented are by Procalcs, LLC independent of the building design changes for the purposes of the HVAC permit and to present calculated loads, equipment requirements and layout consistent with the change in occupancy. 4. Plans Examiner Mechanical a. Comment: Please show the assembly occupancy meeting the requirements for ventilation in the Florida Mechanical Code Chapter 4 as required in Section 1009.1 of the 2014 Florida Existing Building Code. b. Response: The ventilation requirements are calculated and prescribed by the Procalc, LLC submittal that conform to the ventilation requirements of the Florida Mechanical Code. 5. Plans Examiner Plumbing a. Comment: Please show the required hot water to all sinks per section 607.1 FBC 2014. b. Response: The plumbing drawings have been revised to reflect hot water to each of the required lavatories and the service sink. Temperature control faucets are specified to be used at each of the fixtures for compliance with tempered water for public use. �: ���ELYNN DnUGHFq '•_ C � • :'a A`, rence L. Daugherty, LEED AP, Rli.. CGC \/ Architectural Building Corp 15294 101 Trl N STFRED Jupiter, FI 33478 AA26001071 Architecture I Planning 15294 101 Ter. N. I Jupiter, Florida 33478 1 Phone: 561.262.5494 1 www.archbldgcorp.com I Lic.#AA26001071