Los Angeles Releases Final Application for September 3rd Licensing Cycle

Posted by Zachary Tucker on August 17, 2019

 

LOS ANGELES RELEASES FINAL APPLICATION FOR SEPTEMBER 3RD LICENSING CYCLE (1)

 

In preparation of the Phase 3 application cycle opening on September 3rd, the City of Los Angeles Department of Cannabis Regulation (DCR) just released the final version of the application for a cannabis retail license. Until now, the extent of information required for the upcoming application cycle has remained unclear. The finalized application is much briefer than most folks anticipated and is a relief for many hopeful Phase 3 applicants.

Contrary to previous rounds of DCR licensing, Phase 3 will not require applicants to provide a detailed security plan, staffing plan, or professional radius map upon submitting their application. These requirements have been replaced with short, simple forms that require only basic preliminary information. Not having to submit the complete versions of these documents at the time of applying, which are often time-consuming to prepare, is a huge win for Phase 3 applicants – particularly those who had a delayed start to the process.

So, what is required?

The DCR will require 9 documents to be uploaded along with each Phase 3 application. If you have retained Margolin & Lawrence’s legal compliance services prior to September 3rd, our team will prepare 6 of those documents on your behalf. This leaves only 3 documents that you are responsible for preparing!

 

Phase 3 App Reqs

 

The 3 documents each applicant will need to provide are fairly straight-forward: a property lease or deed, a breakdown of the percentage shares, and a business premises diagram. Of those documents, the only item requiring a third-party professional’s services is the business premises diagram. Fortunately, the DCR has announced that it will require only basic specifications on the business premises diagram to be submitted on September 3rd. A more detailed diagram that identifies the location of all security cameras on the premises in addition to other criteria will not be required until a later date. However, it is still highly recommended that applicants consult a licensed architect to draft the initial business premises diagram before September 3rd. If the diagram submitted with the application does not fully meet the DCR’s requirements, the application will be denied and the DCR will give priority to subsequent applicants whose documents are compliant with the regulations. Margolin & Lawrence has a long-established relationship with an architect company that specializes in drafting business premises diagrams for cannabis retailers, and we have confirmed that there is still sufficient time for their team to provide a diagram to satisfy the requirements for a Phase 3 application. If you are still in need of a business premises diagram, contact a member of our team today for a referral.

If you have retained Margolin & Lawrence for the upcoming application cycle, our team will prepare the 6 DCR-issued forms on your behalf prior to September 3rd. If you have not yet retained our services, it is not too late! We are still accepting new clients for Phase 3 and encourage anyone interested in our services to contact us as soon as possible. Our experts will assist with the entire application process from beginning to end. We have employed an IT team to submit applications on behalf of our clients as soon as the application cycle opens on September 3rd to help ensure that our clients’ applications are among the first submitted. If you are interested in our services for the Phase 3 licensing cycle and would like to speak to a member of our team to further discuss the services we provide, call or email us today!

 

 

 

Marijuana Law, Prop 64, Los Angeles, Los Angeles Marijuana Law, Social Equity Program, California Marijuana Law, California Cannabis Law, Cannabis Law, Los Angeles Cannabis Attorney, Los Angeles Cannabis Lawyer, Cannabis Business Application, Cannabis Licensing, Los Angeles Cannabis, LA Cannabis Regulations, LA Cannabis Lawyer, Cannabis Business, Los Angeles Cannabis Regulations, Cannabis Regulations, Cannabis Ordinance, Los Angeles Cannabis Ordinance, LA Cannabis Attorney, LA Marijuana Businesses, LA Cannabis Business, Marijuana, Los Angeles Cannabis Law, California Cannabis Attorney, Cannabis Attorney California, Cannabis Lawyer, Cannabis Attorney, Marijuana Industry, Los Angeles Cannabis License, California Cannabis Lawyer, Los Angeles Cannabis Licensing, Los Angeles Social Equity, Los Angeles Cannabis Attorneys, LA Cannabis Licensing, LA Cannabis Permits, LA Cannabis Law Firm, Cannabis Industry, Phase 3, Retail, LA Phase 3, la phase, la social equity, tier 1, tier 2, Los Angeles Social Equity Qualification, Los Angeles Social Equity Qualifications, Los Angeles Social Equity Program, LA Social Equity Program, Los Angeles Social Equity Requirement, LA Social Equity Requirement, Los Angeles Tier 1, Los Angeles Tier 2, Los Angeles Social Equity Requirements, LA Tier 1, LA Tier 2, LA Social Equity Requirements, LA Social Equity Qualification, LA Social Equity Qualifications, Social Equity DCR, Los Angeles Pre-Vetting, LA DCR Zip Codes, dcr la, cannabis retail license, phase 3 round 1, DCR phase 3, los angeles dcr, los angeles phase 3 round 1, dcr august, los angeles cannabis news, DCR PHASE 3 ROUND 1 LICENSING AND SOCIAL EQUITY, DCR Social Equity, Phase 3 application, Los Angeles Phase 3 application, Phase 3 documents, LA dispensary requirements, LA cannabis business premises diagram, Los Angeles Phase 3 requirements, LA cannabis application requirements, LA dispensary application

Categories

This blog is not intended as legal advice and should not be taken as such. The possession, use, and/or sale of marijuana is illegal under federal law.