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8. Reservation of Rights <br />Respondents expressly reserve all rights, defenses, and objections, <br />including the right to seek judicial review under Government Code § <br />53069.4 and Code of Civil Procedure §§ 1094.5 and 1094.6. <br />A Closing Note to Council <br />Stephen and Sharon Burns are not seeking a windfall, an exemption, or a <br />finding of fault against any individual City staff member. They are asking <br />the City Council to direct that the permits Respondents paid the City <br />$10,650.67 for in January 2023 be processed, so that the corrective work <br />the citation demands can be done. After seven years, three repudiated <br />agreements, the $10,650.67 in permit fees paid in January 2023, the <br />$6,141.25 paid to Hogan Land Services for stamped engineering, and <br />forty-one months of plan-check delay, Respondents are simply asking to <br />be allowed to put the property back the way it should be. That is a <br />constructive, narrow, and final resolution of Violation 1. Respondents <br />respectfully ask the Council to grant it. <br />Respectfully submitted, <br />Stephen and Sharon Burns 2455 Carson Street, Redwood City, CA <br />94061 (408) 425-7771 <br />Norm Matteoni, San Mateo County land-use counsel — <br />norm@matteoni.com <br />Prepared April 27, 2026. Revised pursuant to counsel’s notes. May be <br />supplemented in response to City staff report when published. <br />6.A. - Page 31 of 64 <br />33