Petitioner: DEPARTMENT OF BUSINESS AND PROFESSIONAL REGULATION
Respondent: ALOMA BARBER SHOP
Judges: FRED L. BUCKINE
Agency: Department of Business and Professional Regulation
Locations: Winter Park, Florida
Filed: Nov. 12, 2004
Status: Closed
Settled and/or Dismissed prior to entry of RO/FO on Thursday, December 9, 2004.
Latest Update: Dec. 26, 2024
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SP em ae
STATE OF FLORIDA . :
DEPARTMENT OF BUSINESS AND PROFESSIONAL REGULATION
BARBERS’ BOARD pens peng
DEPARTMENT OF BUSINESS AND
PROFESSIONAL REGULATION,
Petitioner, OL [ ; U ion
vs. Case No. 2004-001v_ +
ALOMA BARBER SHOP,
Respondent.
ee
ADMINISTRATIVE COMPLAINT
Petitioner, DEPARTMENT OF BUSINESS AND PROFESSIONAL REGULATION
("Department"), files this Administrative Complaint before the Barbers’ Board, against ALOMA
BARBER SHOP ("Respondent"), and says:
1. Petitioner is the state agency charged with regulating the practice of barbering
pursuant to section 20.165, Florida Statutes, and Chapters 455 and 476, Florida Statutes, and the
rules promulgated thereto.
2. Respondent's address of record is 7335 Aloma Avenue, Winter Park, Florida 32807.
3. At all times material hereto, Respondent has been licensed as a barbershop in the
State of Florida, having been issued license BS 12810.
4. On or about February 23, 2004, Petitioner Inspector, Michelle White, conducted a
telephonic interview with Complainant Theresa Brush wherein Complainant Brush alleged
Respondent barbershop had multiple sanitary violations
5. During the telephonic interview, Complainant Brush stated that in January 2004 she
saw heavy dust, bugs, hairballs, garbage, and open food containers in Respondent salon.
6. During the telephonic interview, Complainant Brush stated that in January 2004 she
saw combs and buzz caps not in the proper disinfectants.
7. During the telephonic interview, Complainant Brush stated that in January 2004 she
noticed that the barber chairs, towels, and carpet were filthy.
8. On or about February 27, 2004, Petitioner Inspector conducted an inspection of
Respondent salon located at 7335 Aloma Avenue, Winter Park, Florida 32807.
9. During the inspection, Petitioner Inspector observed the barbershop equipment not
maintained and regular use of cleansing agents not used.
10. Rule 61G3-19.011(2)(e), Florida Administrative Code, requires maintenance of all
barbershop equipment in a safe and sanitary condition.
11. Rule 61G3-19.011(10), Florida Administrative Code, states that all barbershops
shall be equipped with and shall utilize wet sanitizers.
12. During the inspection, Petitioner Inspector observed that sanitized equipment was
not stored in a clean closed cabinet.
13. Rule 61G3-19.011(11), Florida Administrative Code, requires that barbershop
equipment be properly sanitized and then stored in a clean, closed container or cabinet.
14. During the inspection, Petitioner Inspector observed workstations that were not
clean to the sight and touch.
15. Rule 61G3-19.011(15), Florida Administrative Code, requires that workstations be
kept at all times clean to the sight and touch.
16. During the inspection, Petitioner Inspector further observed that the barbershop
license, recent inspection, and barber rules were not posted within view of the front entrance of the
barbershop.
17. Rule 61G3-19.009(2), Florida Administrative Code, requires that the shop license be
displayed within view of the front entrance or in the waiting area of the barbershop.
18. Section 476.194(1)(b), Florida Statutes, states that it is unlawful for any person to
“feJngage in willful or repeated violations of [Chapter 476] or any of the rules adopted by the
Board.”
19. Based on the foregoing, Respondent is in violation of section 476.194(1)(b), Florida
Statutes, by engaging in multiple sanitary violations and is therefore subject to disciplinary action
by the Barbers’ Board pursuant to sections 476.204(1)(h) and (2), Florida Statutes.
WHEREFORE, Petitioner respectfully requests the Barbers’ Board enter a Final Order
imposing one or more of the following penalties: imposition of an administrative fine, revocation or
suspension of the Respondent's license, issuance of a reprimand, placement of the Respondent on
probation for a period of time and subject to such reasonable conditions as the Board may specify,
and or any other relief which the Board deems appropriate.
-K—
SIGNED thig? ) day of -, 2004,
Susan Wilkinson
Assistant General Counsel
Attorney for Petitioner:
Susan Wilkinson
Florida Bar No. 0686743
Assistant General Counsel
Office of the General Counsel
Department of Business and Professional Regulation
1940 North Monroe Street
Tallahassee, Florida 32399-2202
Phone: (850) 487-8435
Facsimile: (850) 414-6749
SW/tah
June 25, 2004
Case Number: 2004-001658
PRP Pate bo-B3-Of
Docket for Case No: 04-004115