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The Applicant has stated that the coop will be cleaned out two (2) to three (3) times per week during the summer <br />months to ensure a clean and healthy environment for the pigeons. The droppings would be provided to family <br />members of the Applicant for use as fertilizer; at this time, the final location of the droppings is unknown as Staff is <br />still awaiting an answer to that question. The License requires that the stored fecal matter shall be properly stored to <br />eliminate any potential public nuisances and shall be disposed of weekly from April 1 through November 30 each <br />year. From December 1 to March 31 of each year, the Subject Property shall be maintained in compliance with the <br />City's Public Nuisance Ordinance <br />Staffs initial research of potential public health risks due to droppings/fecal matter suggests that such potential does <br />exist. However, this risk is more commonly associated with lack of maintenance of the site, whereby the site is not <br />cleaned for months or years (such as with feral pigeons with roosts in urban areas). Staff has spoken with a 'Swine, <br />Poultry, and Meat Goats' expert from the University of Minnesota's Integrated Livestock Production Systems. This <br />expert referenced zoontic diseases, which is a disease that can be transmitted from animal to human. According to <br />this expert, this concern cannot be completely ruled out, but the risks are not necessarily any greater than those <br />affiliated with raising chickens or for those in proximity to someone raising chickens. This individual has been <br />working with the Department of Health to develop a fact sheet on maintaining poultry and pigeons and is <br />attempting to provide the City with additional information prior to the meeting. If available in time for the meeting, <br />Staff will distribute to the City Council and will have copies for the public as well. <br />Accessory Structure <br />The exterior finish of the existing pigeon coop is not yet completed and will need further correction to comply with <br />local Zoning and Building Codes. The Applicant has has proposed that the exterior walls of the coop will be <br />finished with textured redwood grain pattern composite panels that will be painted white (same color as the home). <br />Furthermore, the Applicant has verbally stated that the roof will be redone with the rafters sixteen (16) inches on <br />center and will be finished with asphalt shingles. Building Code requires that all hollow blocks on the ground <br />(under the supporting posts and the structure itself) would need to be replaced with solid, four (4) inch thick blocks. <br />The existing coop is currently located along the northern portion of the Subject Property, about twenty (20) feet <br />from the side lot line. While this location does appear to meet all minimum required setbacks for detached <br />accessory buildings, it may be reasonable to require that the coop be moved so that it is more centrally located on <br />the Subject Property, maximizing separation from adjacent structures. It appears that this could be accomplished and <br />still maintain minimum setbacks from the drainfield and well. <br />Other Considerations <br />It may also be reasonable to consider limiting the duration of time that the pigeons are allowed to fly. Staff has <br />found that the City of St. Paul requires a similar type of license for maintaining racing pigeons on a residential <br />property but only allows a 'flying period' of two (2) hours that may occur once in the morning (between 6:OOam and <br />10:OOam) and once in the afternoon (between 3:00 p.m. and 7:00 p.m.). <br />Alternatives <br />Alternative #1: Adopt Resolution # 16-03-048 granting a Non -Traditional Animal License to maintain racing <br />pigeons on the Subject Property contingent upon: (1) the pigeon coop being relocated so that it is more centrally <br />positioned on the Subject Property; (2) the exterior of the pigeon coop being completed as proposed in the Zoning <br />Permit Application no later than April 30, 2016 (weather permitting); (3) the license be limited to no more than <br />sixty (60) pigeons; and (4) the flying time be limited to two hours once in the morning and once in the afternoon. It <br />appears that this request will not result in a public safety matter for the surrounding property owners if properly <br />maintained. <br />Alternative #2: Adopt Resolution #16-03-048 granting a Non -Traditional Animal License to maintain racing <br />pigeons on the Subject Property as proposed and with no contingencies. Staff is not opposed to granting the license, <br />but does feel that certain conditions could be applied. Staff feels that the conditions outlined in Alternative #1 are <br />reasonable and therefore does not recommend Alternative #2. <br />