HomeMy WebLinkAboutComm No 0018.01 - Response - R&D - CA-4 - Amend Section 6-8.3Harry Kim
Mayor
County of Hawaii
DEPARTMENT OF RESEARCH AND DEVELOPMENT
25 Aupuni Street, Room 1301 • Hilo, Hawaii 96720-4252.
(808) 961-8366 • Fax (808) 935-1205
E-mail: chresdev@hawaiicounty.gov
MEMORANDUM
Date: December 3, 2018.
To: Douglass Shipman Adams, Chair, Hawaii County Charter Commission
From: Diane Ley, Director, Department of Research and Development
Ron Whitmore, Deputy Director, Department of Research and Dev
RE: Input on Proposal CA -4 — Amendments to Section 6-8.3; Powers, Duties, and Functions of the
Department of Research and Development
Diane L. Ley
Director
Ron Whitmore
Deputy Director
Lk)
We are writing in response to your November 16, 2018 memo seeking our input on proposal CA -4, which
proposes to repeal and replace subsection (c) of Section 6-8.3 of the County Charter, Powers, duties and
functions for the Department of Research and Development (R&D). Specifically, you requested our
general comments on this proposal as well as input on how the enactment of proposal CA -4 may affect the
implementation of proposal CA -3, which seeks to establish a Climate Change and Resiliency Commission
as well as greenhouse gas emissions reporting and reduction requirements for all. County offices.
General Comments
Proposal. CA -4 proposes the following amendment:
Section 6-8.3. Powers, Duties and Functions.
The director of research and development shall:
(a) Collect and develop data necessary for managerial and legislative decision-making, and
program and policy-making.
(b) Provide staff leadership for public and private development programs, enterprises and plans,
including economic, social and cultural proposals, which enhance and improve the county
community.
(c) [
In conjunction with federal, state, and non-governmental agencies and entities, research and
coordinate county policy and action in relation to long-term, complex problems that involve a
coordinated response from multiple county departments.
We support the deletion of subsection (c). As we noted during our September 14, 2018.presentation
to the Commission, subsection (c) is a remnant of the federal formula grant programs established in the
1960s, when the Charter was fust adopted. Today, using in-house programmatic expertise, each
County agency assumes responsibility for identifying and securing grants and other funding available
from the state and federal governments. This decentralization of the function described in subsection
(c) is increasingly facilitated by advances in grant research and management technologies. In support,
R&D subscribes to a grant research tool and makes it available at no cost to county agencies and non-
profits.
At the same time, we strongly oppose the alternative language proposed for subsection (c). The
functions proposed are already implied in subsections (a) and (b). Accordingly, R&D focuses almost
uniquely on complex problems like economic development, energy, climate change, and disaster
recovery, all of which relate to the functions of multiple departments (but aren't the responsibility of
any single agency) and therefore require significant collaboration. Moreover, it is unclear what is
Hawaii County is an Equal! Opportunity Provider and Employer
tv
CD
Comm. No. 18.1
precisely meant by "long-term, complex problems." Most every challenge faced by County agencies is
long-term and complex, and it would be redundant, inefficient, and impractical for R&D to assume
responsibility for such a broad mandate.
How CA -4 may Affect CA -3
In our December 3, 2018 memo to the Commission regarding Climate Change responsibilities and CA -3,
we provide a possible amendment to Charter Section 6-8,3(b) that largely incorporates the principal
concepts in CA -4. Namely, the possible amendment affirms R&D's approach that is emphasized in CA -4
by adding "collaboration and coordination with federal, state, and non-governmental organizations." The
possible amendment also affirms R&D's focus on holistic, interdependent issues that is central to CA -4 by
adding "environmental, cultural, community, and economic sustainability and resilience" to the R&D
mandate, which are currently implied but not explicit. If those concepts in CA -4 are important to the
Commission, it could consider those amendments.