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Sunshine Law Requirements for Multi-Site and Remote Meetings, Effective January 1, 2022
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Sunshine Law Requirements for Multi-Site and Remote Meetings, Effective January 1, 2022
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2. At the start of the on line meeting, the board could announce that if <br />online connection is lost, information on reconvening or continuing the <br />meeting will be posted on its website and give the website address. <br />3. If the audio and video have gone down butthere is still a chat function <br />or similar means of communication available, the board should also <br />post a visual notice of the continuation of meeting through the chat <br />function. <br />4. If visual connection has been lostduring a meeting using ICT, the <br />board could audibly announcethatthe meeting will be continued and <br />direct people to its website where the relevant information has been <br />posted. <br />5. If time permits, the board can email people on its email list with a <br />notice of continuation of the meeting. Seethe training or forms page <br />on OIP's website for a form of the notice of continuation. <br />V. Additional Requirements <br />A. Notice <br />The notice for a multi -site meeting must list all the locations where board <br />members will be attending as public meeting sites (except that disabled board <br />members have the ability to attend from an undisclosed private site, as explained below). <br />The public meeting locations are set at the time the notice is filed. Board members <br />may attend from any of the public meeting locations listed on the filed notice. The <br />notice is not required to specify which board members will attend from which location. <br />The noticed locations cannot be cancelled or shut down early while the meeting <br />goes on at another public meeting location listed on the filed notice. A board can <br />eliminate one of the noticed public meeting locations when the meeting is still more than <br />6 calendardays away by cancelling the entire meeting and then filing a new notice with <br />onlythe desired locations. Just as with an in -person meeting at a single site, however, if <br />the meeting is less than 6 days away, the board has in sufficient time to file a new <br />agenda and so it must eitherconvene the meeting with the originally noticed locations, or <br />cancel the meeting. <br />If a board chooses to provide any additional locations, the notice must state that no <br />board members will be attending from an additional location and that, if the <br />connection between the additional location and the meeting site(s) is lost, whether the <br />meeting will continue without the additional location or will be automatically <br />recessed to restore communication. <br />B. Procedures to prevent meeting disruptions <br />The Sunshine Law continues to allow boards to remove persons who <br />willfully disrupt a meeting. HRS § 92-3. Therefore, a board holding a remote meeting <br />could disconnecta person creating an online disruption orcould take reasonable action <br />In -Depth Sunshine Law Requirements for Remote Meetings, Effective 1/1/2022 Page 7 <br />
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