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The Sunshine Law now provides boards with three distinct options to conduct <br />public meetings: <br />(1) a meeting in person at one site, which is the traditional method; <br />(2) a meeting in person at multiple sites connected via ICT, without <br />any requirementto provide remote access, as previously allowed; or <br />(3) a new type of "remote" meeting using ICT where board members <br />and the public may participate either remotely, or from <br />an in -person site listed on the notice. <br />In recognition of the digital divide, which mayaffect members of boards and the general <br />public, all three options require at least one in -person meeting site. <br />Option one is how Sunshine Law meetings have traditionally been held, at <br />one physical location where all members of the board and the public attend in <br />person. Boards withoutthe staffing, equipment, or technical abilityto conduct remote <br />meetings can continue to use this in -person meeting option, since there is no <br />requirement for boards to provide ICT connectivity. <br />Option two was also an available Sunshine Law meeting option before the <br />amendments effective January 1, 2022, were passed, under which a public <br />meeting may be held at multiple in -person meeting sites connected by ICT. <br />Members of the board and the public can choose to attend any of the in -person public <br />meeting sites listed on the meeting notice. The sites are connected to each other by <br />ICT, thus allowing people from various islands or parts thereof to simultaneously <br />participate in the same in -person meeting being held at multiple meeting sites. Option <br />two continues to allow what has been the preferred meeting practice of some boards to <br />connect members or constituents on different islands (e.g., Maui Cou my Council, to <br />connect Maui, Molokai, and Lanai), or widely separated locations on the same island <br />(e.g., Hawaii County Council, to connectHiloand Kona). Option two does not require <br />a board to provide a way for the public to attend and testify remotely from a <br />private location of the public's choice (e.g., theirown homes or businesses), although <br />it also would not prevent a board from accepting telephone testimony or something <br />similar. Option two does require all board members to attend in person at one of the <br />meeting sites, unlessthey are disabled and are thus allowed to participate remotely. <br />Option three is a newly created section of the Sunshine Law allowing <br />remote online meetings, similarto what boards did during the COVID-19 pandemic as <br />authorized by the Governor's emergency orders, but with enforceable public access <br />standards appropriate for remote meetings held in normal, non -emergency <br />circumstances. For a remote meeting, all board members as well as the public can <br />participate via ICT from their private homes, offices, or other locations. They also <br />have the option to attend from the in -person public meeting site connected to the remote <br />meeting that the board must provide, which accommodates any member of the pu blic or <br />the board who prefer to attend at a physical location ratherthan using their own remote <br />connection. <br />In -Depth Sunshine Law Requirements for Remote Meetings, Effective 1/1/2022 Page 2 <br />