(1) A public entity shall modify its policies, practices, or procedures to ensure that an individual with a disability may use a ticket acquired in the secondary ticket market under the...
Search Results "Operational Policy"
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§ 35.138(g)(1)
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§1607.13 Affirmative action.
The agencies issuing and endorsing these guidelines endorse for all private employers and reaffirm for all governmental employers the Equal Employment Opportunity Coordinating Council's “Policy...
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How Should Testing Entities Report Test Scores for Test-Takers Receiving Disability-Related Accommodations?
Flagging policies that impede individuals with disabilities from fairly competing for and pursuing educational and employment opportunities are prohibited by the ADA. ...
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Typical examples of reasonable modifications are:
Typical examples of reasonable modifications are: Modifying a no-pets policy to allow someone with PTSD to bring in a service animal that has been trained to calm the person when he...
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26. Must an employer offer reassignment as a reasonable accommodation if it does not allow any of its employees to transfer from one position to another?
And, if an employer has a policy prohibiting transfers, it would have to modify that policy in order to reassign an employee with a disability, unless it could show undue hardship.(84)...
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Section 36.302(e) Hotel Reservations (Section-by-Section Analysis)
The reservations policies, practices, and procedures of public accommodations are subject to title III's general and specific nondiscrimination provisions. ...
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Guarantees of reservations for accessible guest rooms. (Section-by-Section Analysis)
guarantee for accessible guest rooms as it makes for other rooms, except that it must apply that guarantee to the specific room reserved and blocked, even if in other situations, its guarantee policy...
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Section 36.208(b) (Section-By-Section Analysis and Response to Comments)
Paragraph (b) of this section explains that a "direct threat'' is a significant risk to the health or safety of others that cannot be eliminated by a modification of policies, practices,...
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II-3.5100 General
Unless the college can demonstrate that it is necessary for some compelling reason to adopt these policies, the policies would not be permitted by the ADA....
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Safety
GSA requires users to operate their Segway at a speed no greater than a walking pace of three (3) miles per hour. ...
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Department of Transportation Disability Law Guidance: Use of "Segways" on Transportation Vehicles
Transportation providers may establish their own general policies regarding Segways and other devices, just as they do with respect to pets or bicycles. ...
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11B-407.4.6 Elevator car controls
Where provided, elevator car controls shall comply with Sections 11B-407.4.6 and 11B-309.4 _|Operation|_....
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11B-407.4.6 Elevator car controls
Where provided, elevator car controls shall comply with Sections 11B-407.4.6 and 11B-309.4 _|Operation|_....
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§ 37.33(a)
(a) Transportation systems operated by public airport operators, which provide designated public transportation and connect parking lots and terminals or provide transportation among terminals...
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Section 1630.15(b) and (c) Disparate Impact Defenses
Section 1630.15(c) clarifies that there may be uniformly applied standards, criteria and policies not relating to selection that may also screen out or tend to screen out an individual with...
- Pilot Rock Fire Ring vs an Import
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Reopening Device: ADA Standard Section 407.3.3
Section 407.3.3 covers the current ADA Standards for elevator reopening devices.
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Location: ADA Standard Section 407.4.7.1.2
Section 407.4.7.1.2 covers the current ADA Standards for the location of designations and indicators on elevator car control buttons.
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1009.4.1 Standby power
The elevator shall meet the emergency operation and signaling device requirements of California Code of Regulations, Title 8, Division 1, Chapter 4, Subchapter 6, Elevator Safety Orders....
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On existing locations when we add an EV station as van accessible how do we address taking two spaces from the facility (losing a space) and then not having the mandatory spaces remaining for the facility?
Consistent with the state’s policies on electric vehicles, DSA encourages city and county officials to recognize the necessary impact of EVCS and adopt responsive ordinances consistent with...
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How can we address locations that do not have excess parking spaces and currently, cannot pass through plan check because the code says it’s now a “charging space” not a “parking space”? With the current requirements, you need more Van Accessible and ADA reserved parking spaces than required under code with the combination of EV charging and standard spaces. It puts an impossible burden on small parking lots in Irvine and San Diego which are strictly enforcing the interpretation of charging spaces.
Consistent with the state’s policies on electric vehicles, DSA encourages city and county officials to recognize the necessary impact of EVCS and adopt responsive ordinances consistent with...
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We are also being asked to show the future space for the 1 Van accessible EV space that would be required in the future, if the equipment was installed. And due to the requirement for the access aisle beside this space, in the future it would be converted to an access aisle resulting in the loss of one parking space. As this project is right at the required number of parking spaces per zoning, it is not acceptable to the zoning reviewer to sign off on a plan that shows a “future access aisle for future EV van accessible charging space,” as they are approving the loss of a parking space, even though this would not happen until a future condition, upon which I assume there would be some review process for installation of EV charging equipment. What is the appropriate path forward in this situation?
Consistent with the state’s policies on electric vehicles, DSA encourages city and county officials to recognize the necessary impact of EVCS and adopt responsive ordinances consistent with...
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Closed Functionality
functionality are self-service machines, information kiosks, set-top boxes, fax machines, calculators, and computers that are locked down so that users may not adjust settings due to a policy...
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Closed Functionality
functionality are self-service machines, information kiosks, set-top boxes, fax machines, calculators, and computers that are locked down so that users may not adjust settings due to a policy...