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J <br />• <br />Sign Report p.2 <br />C. Paragraph 3 deals with requirements for electrical <br />illumination of portable signs. <br />D. Paragraph 4 regulates political signs. <br />IV. Section 10-1002 regulates the number of on -premise <br />freestanding signs which may be permitted for a given <br />business location. <br />A. Paragraph 1 limits the scope of regulation to <br />freestanding signs. <br />B. Paragraph 2 addresses multiple reader panels <br />mounted on a single sign base. <br />C. Paragraph 3 regulates the number of freestanding <br />advertising signs which may be permitted, for a <br />location based on street frontage. <br />D. Paragraph 4 deals with on -premise freestanding <br />signage for multi -tenant buildings. <br />E. Paragraph 5 deals with on -premise freestanding <br />signage for tracts containing more than one <br />building. <br />F. Paragraph 6 exempts on -premise directional signs <br />from the above regulations. <br />V. Section 10-1003 regulates the maximum allowable size of <br />signs according to class of sign and location. <br />VI. Section 10-1004 exempts certain signs from survey <br />requirements. <br />VII. Commercial and Industrial Use Tables A & B place the <br />regulations discussed above into the standard table <br />format used through out Ordinance #1501. <br />This sign regulation draft has been assembled by the City <br />Attorney's office and reviewed for compliance with Supreme Court <br />guidelines set forth in the case of Jay Lindsey dba Mac <br />Advertising Company vs. City of San Antonio. The regulations, as <br />proposed, appear to be in substantial compliance with these <br />guidelines, some consideration may however, be in order regarding <br />the placement of off -premise portable signs in Light and Heavy <br />Industrial zones. In order to more fully comply with court <br />guidelines, it may be advisable to extend the ban on off -premise <br />portable signs to these zones as well. <br />