PA Builders Assoc. v. Dept. of L&I

CourtCommonwealth Court of Pennsylvania
DecidedOctober 26, 2022
Docket479 M.D. 2021
StatusPublished

This text of PA Builders Assoc. v. Dept. of L&I (PA Builders Assoc. v. Dept. of L&I) is published on Counsel Stack Legal Research, covering Commonwealth Court of Pennsylvania primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
PA Builders Assoc. v. Dept. of L&I, (Pa. Ct. App. 2022).

Opinion

IN THE COMMONWEALTH COURT OF PENNSYLVANIA

Pennsylvania Builders Association, : Petitioner : : v. : : Department of Labor & Industry, : No. 479 M.D. 2021 Respondent : Submitted: September 15, 2022

BEFORE: HONORABLE ANNE E. COVEY, Judge HONORABLE ELLEN CEISLER, Judge HONORABLE STACY WALLACE, Judge

OPINION BY JUDGE COVEY FILED: October 26, 2022

Before this Court in its original jurisdiction is Pennsylvania Builders Association’s (PBA)1 Application for Judgment on the Pleadings (Application) and the Department of Labor and Industry’s (Department) Answer thereto. After review, this Court grants the Application.

Background2 In 1999, the General Assembly enacted the Pennsylvania Construction Code Act (PCCA),3 the purpose of which was to “establish uniform and modern construction standards throughout the Commonwealth.” Commonwealth v. Null,

1 PBA is a non-profit statewide trade association that is affiliated with the National Association of Home Builders and 32 other local Pennsylvania associations. See Petition for Review in the Nature of a Complaint in Equity Seeking Declaratory Relief and Injunctive Relief ¶ 5. It is governed by a board of directors consisting of representatives from the local associations. See id. PBA brings this action on behalf of its nearly 4,200 members, consisting of builders, remodelers, material suppliers, subcontractors, design professionals, and consultants. See id. 2 All facts are as alleged in the pleadings and the documents attached thereto. 3 Act of November 10, 1999, P.L. 491, as amended, 35 P.S. §§ 7210.101-7210.1103. 186 A.3d 424, 427 n.1 (Pa. Super. 2018) (quoting Flanders v. Ford City Borough, 986 A.2d 964, 969 (Pa. Cmwlth. 2009)). To that end, in Section 301(a)(1) of the PCCA, the General Assembly mandated that the Department shall “promulgate regulations adopting the [then-current] 1999 [Building Officials and Code Administrators, Inc. (]BOCA[)] National Building Code, Fourteenth Edition, as a Uniform Construction Code [(UCC).4]” 35 P.S. § 7210.301(a)(1). In Section 301(a)(2) of the PCCA, the General Assembly directed that the Department “shall include a provision that all detached one-family and two-family dwellings and one- family townhouses that are not more than three stories in height[,] and their accessory structures[,] shall be designed and constructed either in accordance with the” International Code Council’s “[(]ICC[)] International One and Two Family Dwelling Code, 1998 Edition, or in accordance with the requirements of the [UCC].” 35 P.S. § 7210.301(a)(2). The ICC is a private, non-profit entity. See Petition for Review in the Nature of a Complaint in Equity Seeking Declaratory Relief and Injunctive Relief (Complaint) ¶ 9. BOCA later merged into the ICC codes. Section 304(a)(3) of the PCCA further mandates: The [D]epartment shall promulgate regulations updating accessibility standards under Chapter 3 [(Uniform Construction Code)] by adopting by December 31 of the year of issuance of the accessibility provisions of the most recently published edition of the ICC codes and any other accessibility requirements which shall be specified in the regulations, or contained in or referenced by the [UCC] relating to persons with disabilities.

4 Section 401.1 of the Department’s Regulations defines the UCC as “[P]art [XIV of the Department’s Regulations, titled Uniform Construction Code], [a]n International Building Code and the International Residential Code for One- and Two-Family Dwellings, available from the International Code Council[], . . . and any standards adopted by the Department in this [P]art [XIV] under [S]ections 301 and 304 of the [PCCA] (35 P.S. §§ 7210.301[,] 7210.304).” 34 Pa. Code § 401.1.

2 35 P.S. § 7210.304(a)(3) (emphasis added). Importantly, Section 304(a)(2) of the PCCA adds that regulations promulgated thereunder are exempt from the requirements of Section 205 of what is commonly referred to as the Commonwealth Documents Law (CDL),5 45 P.S. § 1205 (relating to Department of Justice approval as to legality), and Sections 204(b) and 301(10) of the Commonwealth Attorneys Act,6 71 P.S. §§ 732-204(b), 732-301(10) (relating to reviewing agency regulations for form and legality). See 35 P.S. § 7210.304(a)(2). On December 25, 2021, pursuant to Section 304(a)(3) of the PCCA, the Department amended Sections 403.21,7 403.26,8 and 403.289 of the Department’s Regulations, 34 Pa. Code §§ 403.21, 403.26, 403.28, and certain definitions in Section 401.1 of the Department’s Regulations, 34 Pa. Code § 401.1, to expressly adopt the ICC’s 2021 amendments to accessibility provisions of the International Building Code, International Existing Building Code, and International Swimming

5 Act of July 31, 1968, P.L. 769, as amended, 45 P.S. §§ 1102-1602, and 45 Pa.C.S. §§ 501-907. 6 Act of October 15, 1980, P.L. 950, as amended, 71 P.S. §§ 732-101 - 732-506. 7 Section 403.21(a) of the Department’s Regulations adopts and incorporates Chapter 11 of the International Building Code of 2021 and the accessibility provisions of the International Existing Building Code of 2021 as the UCC. See 34 Pa. Code § 403.21(a). The Department correspondingly amended Section 401.1 of the Department’s Regulations to define the International Building Code to include, inter alia: “Chapter 11 [(Accessibility)] and Appendix E of the ‘International Building Code 2021’ issued by the ICC[,]” and International Existing Building Code to include “[t]he accessibility provisions in the ‘International Existing Building Code for Buildings 2021’ issued by the ICC.” 34 Pa. Code § 401.1. 8 Amended Section 403.26 of the Department’s Regulations adopts the accessibility provisions contained in Section 307.1.4 of the International Swimming Pool and Spa Code of 2021 (relating to general design requirements). See 34 Pa. Code § 403.26. Section 401.1 of the Department’s Regulations defines the International Swimming Pool and Spa Code as “[a]n International Swimming Pool and Spa Code issued by the ICC.” 34 Pa. Code § 401.1. 9 Section 403.28(b)(3)(ii) of the Department’s Regulations was amended to state that accessibility requirements in the International Building Code of 2021 shall apply to bathrooms in uncertified state-owned buildings, restaurants or retail commercial establishments constructed between August 31, 1965 and February 18, 1989. See 34 Pa. Code § 403.28(b)(3)(ii). 3 Pool and Spa Code (collectively, 2021 Accessibility Regulations). See Complaint Ex. A, 51 Pa. B. 7981-84 (2021).

Facts On December 29, 2021, PBA filed the Complaint, alleging therein that the General Assembly delegated unfettered legislative authority to a private entity to establish accessibility standards, and that PBA and its members are aggrieved as a result.10 Specifically, PBA asserted:

26. Section 304(a)(3) of the PCCA . . . is unconstitutional because, in violation of [a]rticle [II], [s]ection 1 of the Pennsylvania Constitution,[11] it delegates “de facto, unfettered control over” accessibility standards, Protz [v. Workers’ Comp. Appeal Bd. (Derry Area Sch. Dist.), . . . 161 A.3d 827,] 836 [(Pa. 2017)], to the ICC, without building in “any of the procedural mechanisms” essential to “protect against ‘administrative arbitrariness and caprice,[’]” such as requiring ICC to “hold hearings, accept public comments, or explain the grounds” for the standards it adopts “in a reasoned opinion, which then could be subject to judicial review.” Id. Further, the ICC accessibility standard makers are private parties, “not public employees who may be subject to discipline or removal.” Id. 27. [The Department’s] 2021 Accessibility Regulations, based as they are on this same unconstitutional delegation

10 Also on December 29, 2021, PBA filed an Application for Summary Relief with this Court.

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Bluebook (online)
PA Builders Assoc. v. Dept. of L&I, Counsel Stack Legal Research, https://law.counselstack.com/opinion/pa-builders-assoc-v-dept-of-li-pacommwct-2022.