HomeMy WebLinkAboutR3238510690, R3238510320, R3238510490 (ZV-2021-0038) V1Community Development 33 E. Broadway Avenue, Meridian, ID 83642
Phone 208-884-5533 Fax 208-888-6854 www.meridiancity.org
Mayor Robert E. Simison
City Council Members:
Treg Bernt Brad Hoaglun
Joe Borton Jessica Perreault
Luke Cavener Liz Strader
November 4, 2021
Barry Washburn
Mountain Pacific Commercial Mortgage
225 N. 9th Street, Suite 530
Boise, ID 83702
RE: R3238510690, R3238510320, R3238510490 - (ZV-2021-0038)
Dear Mr. Washburn:
In response to your request for zoning verification for parcel numbers R3238510690,
R3238510320, R3238510490, please note the following:
• This property is located within the corporate boundaries of the City of Meridian and is
currently zoned R-15 (medium high-density residential).
• A multi-family development is a conditional use in the R-15 zoning district. The definition
of a multi-family development is:
Development where there are three (3) or more dwelling units or apartments
located on the same property. A multifamily dwelling may or may not be present
on the property.
• The site was not approved as a Planned Unit Development and is not located in any special,
restrictive, or overlay district.
• The proposed use is considered a conforming use and complies with the applicable zoning
regulations.
• In the event of a casualty, an approved Conditional Use Permit and Certificate of Zoning
Compliance are required to rebuild the structure in its current form.
• To the best of my knowledge the site does not have any legal non-conforming issues, nor
any building or zoning violations.
• Documents regarding the subject property are available through a records request at the
Meridian City Clerk’s Office.
11/04/21
ZV-2021-0038
R3238510690, R3238510320, R3238510490 (ZV-2021-0038) page 2
Community Development Department ▪ 33 E. Broadway Avenue, Ste. 201, Meridian, ID 83642
Phone: 208-884-5533 Fax: 208-888-6854 www.meridiancity.org
Staff’s failure to cite specific provisions of the Unified Development Code, or existing
conditions of approval associated with the subject property, does not relieve the Applicant of
responsibility for compliance.
If you should have any further questions regarding this matter, please don’t hesitate to contact
Stacy Hersh at (208) 884-5533.
Sincerely,
Caleb Hood, AICP
Planning Division Manager
CH:sh
11/04/21
ZV-2021-0038