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03 Jennifer L. Hall From:Tamara Jimenez <tjimenez@lighthousetreatment.com> Sent:Friday, September 25, 2020 11:58 AM To:Loretta Day Cc:Public Comment Subject:Fwd: Item #3 From: Tamara Jimenez <tjimenez@lighthousetreatment.com> Date: September 25, 2020 at 11:00:15 AM PDT To: Denise Barnes <DBarnes@anaheim.net>, Harry Sidhu <HSidhu@anaheim.net>, Jordan Brandman <JBrandman@anaheim.net>, Jose Moreno <JMoreno@anaheim.net>, Lucille Kring <LKring@anaheim.net>, Stephen Faessel <SFaessel@anaheim.net>, Trevor O'Neil <TONeil@anaheim.net> Subject:Item #3 Good morning, Again I am writing to urge you to continue this item. It is quite clear that there has not been any thorough study done on the issue at hand. The way this ordinance is written is frankly quite callous. It is an attack on those seeking recovery and I am more than disappointed. The staff report given at the meeting on the 15th put our logo along with CCAPP & the Orange County Recovery Collaboration on a slide referring to us as stakeholders. I can assure you that none of us are stakeholders in this item nor were we ok with having our logos used in the presentation. I speak for all three groups when I say we are absolutely in strong opposition to this ordinance as it is written. It is nothing more than an attempt to push out recovery services in the City of Anaheim. Maybe none of you personally have any one in your lives right now that suffer from addiction but that doesn’t exempt you from the responsibility as leaders to fully educate yourself on the subject matter before taking such drastic steps. https://www.whitehouse.gov/sites/whitehouse.gov/files/images/Final_Report_Draft_11-15- 2017.pdf https://addiction.surgeongeneral.gov/sites/default/files/surgeon-generals-report.pdf https://www.samhsa.gov/sites/default/files/housing-best-practices-100819.pdf https://narronline.org/wp-content/uploads/2015/10/National-Recovery-Residence-Quality- Standards-Oct-7-2015.pdf Have a great day, Tamara Jimenez Community Relations Manager 1 Lighthouse CONFIDENTIALITY NOTICE: This message is protected under the Federal regulations governing Confidentiality of Alcohol and Drug Abuse Patient Records, 42 C.F.R. Part 2, and the Health Insurance Portability and Accountability Act of 1996 ("HIPAA"), 45 C.F.R. Pts. 160 & 164 and cannot be disclosed without written consent unless otherwise provided for in the regulations. The Federal rules prohibit any further disclosure of this information unless a written consent is obtained from the person to whom it pertains. The Federal rules restrict any use of this information to criminally investigate or prosecute any alcohol or drug abuse patient. If you are not the intended recipient, please contact the sender by reply e-mail and destroy all copies of the original message. 2