OIG No. 23-23: Sanitation Tax Auditor Annual Activity SummaryJoseph M. Centorino, Inspector General
TO:
FROM:
Honorable Mayor and Members of the City Commission
Joseph M. Centorino, Inspector General
DATE:
PROJECT:
PERIOD:
November 21, 2023
Sanitation Tax Auditor Annual Activity Summary
OIG No. 23-23
October 1, 2022 through September 30, 2023
The Sanitation Tax Auditor in the City of Miami Beach Office of the Inspector General (OIG)
regularly conducts audits to verify selected contractors' compliance with provisions in the City
Code related primarily to franchise waste and/or roll-off permit fees due. Unannounced site
visits by the auditor are also periodically conducted at Miami Beach addresses where the City
has open permits issued within any of nine Building Permit categories deemed to most likely
require the removal of construction and demolition debris and/or bulky waste. If a contractor
is found to be non-compliant at any of these sites, the Code Compliance Department is
promptly notified to further investigate and may then issue any warranted Notices of Violation.
The joint efforts and diligence of OIG, Sanitation, Code Compliance, and Finance Department
staff have resulted in increased contractor compliance with the City Code. The City Attorney's
Office has also been instrumental in providing requested interpretations of the City Code and
in clarifying uncertainties. The information obtained has been shared with audited contractors
to provide guidance concerning the taxability of prospective transactions, thereby ensuring
greater compliance by contractors and helping them to avoid the disciplinary actions
authorized in the City Code.
In addition, the cumulative Sanitation revenues, separately addressed in the following
sections of this report have also increased, some significantly, when compared to other recent
fiscal years as contractors have become more compliant with established regulations. All
analyses in this report include the most recent five fiscal years, starting with the 2018/19 fiscal
year (October 1, 2018, through September 30, 2019), which ended nearly one month prior to
the inception of the OIG on November 1, 2019.
City Resolution No. 2023-32654
The City Attorney's Office (CAO) has previously opined to the OIG that Miami Beach
transactions involving the usage of grapple service to load debris for disposal into dump
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trucks and/or other portable containers (including wheeled containers) were taxable events.
As such, the OIG Sanitation Tax Auditor repeatedly followed this advice in all audits and
issued assessments accordingly.
The June 28, 2023, adoption of Resolution No. 2023-32654 by the Mayor and City
Commission dramatically changed the roll-off landscape by approving a narrower definition
of roll-off containers to resolve existing ambiguities in the related City Code sections. As a
result, only contractors using conventional roll-off containers (non-wheeled containers) of ten
cubic yards or more would be thereafter required to obtain annual business tax receipts from
the Finance Department Licensing Section and permits from the Sanitation Division for each
Miami Beach location serviced, as well as to timely file monthly Roll-Off Permit Fee Returns
with any monies due to the Finance Department for debris removal. At the time of the adoption
of the Resolution, it was understood that the City Code might need further revisions to clarify
the roll-off definition. Although some discussion of such revisions has occurred, no action has
yet been taken.
At the request of the OIG for an interpretation of the Resolution, the City Attorney's office
provided an email on September 1, 2023, opining that Resolution No. 2023-32654 applied to
all OIG audits not yet finalized. Consequently, its limiting terms were extended to both current
and prospective audits of all contractors, including those using wheeled containers, dump
trucks and grapple services and previously considered to be covered by existing Code
provisions. As a result of the adoption of Resolution No. 2023-32654 and the noted legal
opinion, the OIG believes the following results will occur:
• Contractors who do not use "conventional" roll-off containers to remove construction
and demolition debris and/or bulky waste will have an unearned competitive
advantage, at least in the short term.
• More contractors may be expected to transition to non-taxable means to collect
construction and demolition debris and/or bulky waste instead of conventional roll-offs
to avoid having to remit any related permit fees to the City.
• Fewer BTRs related to roll-off activities will be required, thereby decreasing City
regulation and oversight of the process.
• The Sanitation Division, which is funded primarily through service fees, will lose
revenue, its customer-based fees may have to be increased to offset the lost revenue,
or currently filled Sanitation employee positions may be downgraded and/or lost.
It is important to note that City Resolution No. 2023-32654 has already had some fiscal impact
on the 2022/23 fiscal year results following its June 28, 2023, adoption. The OIG believes its
effects going forward will increase in severity.
Business Tax Receipts (BTRs)
City Code Section 102-356 defines business tax as the fees charged for which the City grants
the privilege of engaging in or managing any business, profession, or occupation within the
city's jurisdiction. Furthermore, Section 102-360 states, "Each business tax receipt shall be
valid for one year. Tax receipts shall be issued beginning October 1 of each year and shall
expire on September 30 of the following year," and Section 102-370(a) explains that, 'The
city shall endeavor to notify all business tax receipt holders that their business tax receipts
are due for renewal. However, if the taxee does not receive a renewal notification, the taxee
is responsible to renew the business tax prior to October 1 to avoid delinquent charges."
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In addition, Section 90-192(a)states, "No person shall engage in the business of disposal
and/or collection of any kind of solid waste, or recyclable material within the city without first
having been approved by the city manager, and having secured a current business tax receipt
for such activity." Section 90-278(7) states, "In order to effectively provide for the collection of
the permit fee by the contractor to the city, any person seeking to renew his/her annual
business tax receipt pursuant to the provisions of chapter 102, article V, in addition to the
requirements contained therein, shall provide to the finance director evidence of payment of
all outstanding permit fees, fines and other charges as a condition to reissuance or renewal
of the business license."
Section 102-377(a) states, "(a) Any person who shall carry on or conduct any business for
which a tax receipt is required by this article without first obtaining such tax receipt shall be
issued a violation for the offense which shall have a civil fine of $1,000.00. The enhanced
enforcement for this violation shall be pursuant to subsection 102-377(d) herein." Lastly,
Section 102-377(d) states, "In addition to the above, a continued violation of subsection 102-
377(a) for a period of 30 days or more without first obtaining a tax receipt, shall be punished
by imprisonment not to exceed 60 days or by imposition of a fine not to exceed $500.00 or
both."
Each conventional roll-off and recycling contractor operating in Miami Beach is required to
obtain an annual BTR from the City Finance Department. This requirement is often difficult to
enforce by City staff as many contractors do not maintain a permanent physical business
location within the City. Consequently, services provided to Miami Beach customers by non-
compliant contractors without business addresses within the City may escape detection
without extra vigilance by City staff.
Furthermore, the number of applicable contractors frequently changes, either upward, as new
contractors abide by the City's guidelines and obtain their annual BTRs, or downward as
contractors merge or stop conducting business in Miami Beach and do not renew their BTRs.
Given the OIG's increased emphasis on Sanitation-related issues since beginning its
operations on November 1, 2019, and the associated collaboration and support received
from other affected City departments, there has been a significant increase in the number of
recently issued BTRs to contractors who perform roll-off activities. For example, the table
below shows a 160.00% increase (26- 10 = 16/10) in the number of related BTRs issued
during the 2022/23 fiscal year compared to the 2018/19 fiscal year.
Fiscal Year Issued BTRs
2018/19 10
2019/20 12
2020/21 17
2021/22 22
2022/23 26
k
Source: EnerGov system, the City licensing and permitting system
The number of annual issued BTRs excludes the City's authorized franchise waste
contractors, currently Waste Management of Florida Inc. and Waste Connections of
Florida, Inc., which, pursuant to City Code Section 90-192(c), are not required to obtain
separate BTRs for servicing roll-offs and portable containers, for collection of hazardous
and biohazardous waste, and for recycling activities.
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Notices of Violation (NOVs)
Once a complaint is received, Code Compliance Department management dispatches its
officers to investigate. Time permitting, Code Compliance Officers will also perform their own
additional investigations.
The OIG Sanitation Tax Auditor also periodically conducts unannounced site visits of Miami
Beach addresses where any of the nine categories of Building Permits typically associated
with the need for roll-off services involving storage and removal of construction and demolition
debris and/or bulky waste have been issued. The related Building permits include, among
others, Building - Commercial, Building - Condominium, Pool - Commercial, Pool -
Residential, and Roofing - Commercial. The correlation with the usage of roll-off containers
has been verified in prior audits conducted by the OIG Sanitation Tax Auditor. If the contractor
is deemed non-compliant, the City Code Compliance Department is then requested to further
investigate and issue any warranted NOVs.
The table below shows a 721.74% (189-23 = 166/23) increase when comparing the number
of NOVs issued during the 2022/23 fiscal year with the 2018/19 fiscal year. The OIG believes
that the substantial decrease in NOVs issued during the 2021/22 fiscal year (189) compared
with the 2022/23 fiscal year (482) may be due to several factors, including the uncertainties
created by City Resolution No. 2023-32654 regarding the interpretation of the City Code; the
suspension of field observations and referrals by the Sanitation Tax Auditor to Code
Compliance pending resolution of the roll-off provisions in the Code; fewer complaints being
referred to Code Compliance from individuals other than OIG staff; and increased contractor
compliance.
Issued NOVs FY FY FY FY FY
2018/19 2019/20 2020/21 2021/22 2022/23
Construction and Demolition Debris NIA N/A N/A NIA 5
Permit - 001S **
Demolish Roll-Off - 001 s ** NIA N/A 1 6 15
Garbage Haulers Identification - 003S N/A NIA 3 161 30
**
Permit - 001 S 7 31 83 296 77
Recycling Contractor Monthly Report - N/A N/A N/A N/A 50
001S **
Roll-Off - 001 S 16 34 15 19 12
Total 23 65 102 482 189
Source: EnerGov system, the City licensing and permitting system
* NOVs issued for:
a. Construction and Demolition Debris Permit- 001 S means a roll-off without a permit
was used for the removal of construction and demolition debris and bulky waste.
b. Demolish Roll-Off- 001 s means that the contractor failed to use a roll-off container
for the removal of construction and demolition debris and bulky waste.
b. Garbage Haulers Identification - 003S means that the roll-off container did not
contain the required identification information.
c. Permit - 001 S means that a roll-off was placed without receiving the required
permit from the City Sanitation Division.
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**
d. Recycling Contractor Monthly Report - 001S means a recycling contractor failed
to deliver the required monthly recycling report.
e. Roll-Off - 001 S means that the ro ll-off container was overflowing as it contained
too much material.
These NOVs were previously non-existent and were created by Code Compliance
Department management due to inquiries raised by the OIG Sanitation Tax Auditor.
Typically, each of these issued NOVs will result in increased compliance, as well as the
levying of an associated fine ranging from $100.00 to $1,000.00. However, a property owner
cited by the Code Compliance Department also has the ability to appeal issued NOVs to the
Special Masters fo r adjudication.
Completed Audit Report Summaries
The OIG Sanitation Tax Auditor completed eight audit reports during the 2022/23 fiscal year,
whose findings are summarized below. It is important to note that the OIG's ability to issue
subpoenas to non-responsive and/or non-compliant contractors has been invaluable in the
completion of these audits. Any collected assessments are the responsibility of the Finance
Department and represent additional revenues to the City that would not have been received
if these audits had not been performed. Furthermore, the audited contractors are typically
remitting more monies prospectively with higher reported monthly roll-off permit fee filings to
the Finance Department as the OIG Sanitation Tax Auditor educates them concerning the
taxability of Miami Beach transactions.
1. OIG No. 22-14 - Medley Metal Recycling, LLC Roll-Off Fee Revenues Audit
Testing determined that Medley Metal Recycling, LLC had eleven unsubstantiated
Miami Beach transactions, which were subject to roll-off permit fees pursuant to the
City Code, resulting in the contractor being assessed $1,308.50 in permit fees and
$3,529.88 in related audit costs. Similarly, the contractor did not timely obtain its fiscal
year BTRs related to roll-offs during the audit period, for which it was issued related
NOVs by the City Code Compliance Department.
The OIG Sanitation Tax Auditor determined that the contractor did not timely remit
required monthly recycling reports during the audit period pursuant to City Code and
made the Finance Department aware that it had not charged the contractor penalties
for failing to timely submit its monthly reports.
2. OIG No. 22 - 15 - All County Waste, Inc. Roll-Off Fee Revenues Audit
Records furnished by the contractor showed that it did not report gross receipts
generated from roll-off operations totaling $34,374.21 to the City during the audit
period, resulting in unpaid permit fees, related penalties and interest, and audit costs
totaling $11,883.23. It was also determined that the contractor did not timely obtain its
2019/20 fiscal year BTR; it performed roll-off services at twelve Miami Beach locations
without obtaining the required permits contrary to City Code; and it did not timely
submit its required lists of accounts to the City.
3. OIG No. 22 - 18- Waste Plus, Inc. Roll-Off Fee Revenues Audit
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The roll-off contractor had not filed monthly returns to the Finance Department since
December 2021, yet it continued to provide services to Miami Beach customers. An
examination of the provided documentation indicated the misclassification of 94 Miami
Beach transactions, resulting in $4,691.53 in permit fees due to the City (including
penalties and interest). The contractor remained non-responsive over a lengthy period
to multiple requests for additional information despite the issuance of three
subpoenas. The OIG Sanitation Tax Auditor then consulted with the Office of the City
Attorney and assessed the contractor an additional $208,664.26 in unsubstantiated
Miami Beach transactions reported on its General Ledger, plus $7,675.48 in audit
costs pursuant to City Code.
The OIG also determined that the contractor performed roll-off services at 26 Miami
Beach locations without obtaining the permits required under City Code; did not timely
obtain its 2018/19 and 2019/20 fiscal year business tax receipts; and did not remit
$7,300.00 in previously issued NOVs by the City Code Compliance Department.
4. OIG No. 23-04 - AES Portable Sanitation, Inc. Roll-Off Permit Fee Revenues Audit
The OIG Auditor determined from business records provided by this contractor, which
also owns and operates J&M Scaffolds of Florida, Inc. (see below), that it did not remit
permit fees due of $28,070.37 (including penalties and interest) to the City, as a result
of which audit costs of $1,949.85 were also levied. The contractor also did not obtain
the required permits at 21 identified Miami Beach locations in which it provided roll-off
services and did not timely obtain the related BTRs for fiscal years 2017 /18, 2018/19,
2019/20, 2020/21, and 2021/22.
5. OIG No. 23-05 -J& M Scaffolds of Florida, Inc. Roll-off Fee Revenues Audit
The contractor consistently filed monthly Roll-Off Permit Fee Returns during the audit
period, but its records indicated that $364.96 in unpaid fees (including penalties and
interest) and $1,687.89 in associated audit costs were due. Furthermore, its records
indicated the performance of roll-off services at five Miami Beach locations without the
required permits, and the contractor did not timely obtain its 2018/19 BTR related to
roll-offs. Lastly, the contractor was not charged penalties and interest for late filings to
the Finance Department during the audit period and did not timely submit its required
lists of accounts to the City Manager pursuant to City Code.
6. OIG No. 23-08 - Sanitation Field Observations Audit
The OIG Sanitation Tax Auditor performed unannounced field observations of various
Miami Beach properties from June 6, 2022, through June 29, 2022, to determine
whether roll-off contractors at those locations had obtained valid BTRs, acquired the
required Building and/or Roll-off permits, and filed Roll-off Permit Fee Returns with the
City that included revenues derived from the observed properties. Noted deficiencies
were forwarded to the Code Compliance Department for review and issuance of
warranted NOVs, with the following results:
• 82 violations issued to non-compliant roll-off contractors ranging from $100.00
to $1,000.00, totaling $32,300.00. Eight of the roll-off contractors had not
obtained the required business tax receipt for the 2021/22 fiscal year, and five
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of 43 addresses had not been issued Building permits required by the Florida
Building Code.
• Three contractors did not obtain the required annual roll-off permits during the
2021/22 fiscal year and were cited by Code Compliance.
• The OIG made various recommendations related to roll-offs to improve the
enforcement process and the City Code.
7. OIG No. 22-08 - Lopefra Corp. Roll-Off Permit Fee Revenues Audit
After multiple meetings and discussions by OIG staff with the City Administration,
Office of the City Attorney, Sanitation Division, the contractor and its hired attorneys,
a consensus was reached whereby unpaid permit fees of $66. 72 were due and that
other fees possibly owed to the City would not be collected due the necessity of
clarifying the City Code provisions related to Sanitation and roll-offs. The contractor
may also be assessed audit costs. The OIG Sanitation Tax Auditor also determined
that the contractor did not submit its 2017, 2018, 2019, 2020, and 2021 annual
statements of gross receipts certified by a C.P.A. pursuant to City Code, and did not
submit its required lists of accounts during the audit period.
8. OIG No. 23-18 - Superior Recycling & Waste Management Inc. Roll-Off Permit Fee
Revenues Audit
The contractor was uncooperative and provided limited documentation to the OIG
Sanitation Tax Auditor despite multiple requests and the issuance of subpoenas over
many months. Since, according to the Office of the City Attorney, the burden of proof
is on the contractor to show it is exempt from sanitation taxes on roll-offs and the
contractor is only known to use roll-off containers, all unsubstantiated Miami Beach
transactions were deemed taxable. The following related deficiencies were noted:
• The contractor was assessed $137,834.09 in permit fees.
• Required permits were not obtained from the Sanitation Division for roll-off
services performed at seven Miami Beach locations.
• The contractor did not timely obtain its 2017/18 and 2018/19 fiscal year BTRs
related to roll-offs.
• $8,050.00 in NOVs previously issued by the Code Compliance Department
during the 2020/21 and 2021/22 fiscal year for not timely obtaining its required
BTRs and/or roll-off permits remained unpaid.
• Its required lists of accounts were not timely submitted to the City Manager
pursuant to City Code.
City Ordinance No. 2021-4456
As a result of the September 2, 2021, issuance by the OIG of its Roll-Off Permit Process
Review report (OIG No. 21-17), the City Commission approved revisions of the City Code in
Ordinance No. 2021-4456, effective December 18, 2021, summarized below:
1. Contractors are to pay an annual permit fee of $1,000.00 to cover the City's annual
administrative and processing costs.
2. No permits for roll-off containers, dumpsters, or portable containers shall be issued
by the Sanitation Division to a contractor unless it is compliant and has obtained a
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BTR, paid the annual permit fee, and shows proof of insurance.
3. Each contractor must deliver a true and correct monthly report of gross receipts to
the City Finance Department for each month, regardless of whether any work was
performed within the City during the previous month. A penalty set forth in Appendix
A of the City Code will be applied against any contractor failing to timely submit its
monthly report.
Although 28 contractors may be authorized to perform roll-off services in Miami Beach during
the 2022/23 fiscal year (26 issued BTRs + 2 franchise waste contractors), only those
contractors that have applied for and received Sanitation Division issued permits are required
to remit the $1,000.00 annual permit fee. The OIG Sanitation Tax Auditor determined that
nineteen contractors had properly remitted the annual permit fee to the City Finance
Department during both the 2021/22 and 2022/23 fiscal years. Also, the OIG Sanitation Tax
Auditor has been charging late filing penalties, when applicable, in its audits.
Roll-Off Permit Fee Revenues, Excluding Audit Assessments and Annual Permit Fee
Revenues
As a result of the increased collaboration among OIG, Code Compliance, and Finance
Department staff, and the stronger emphasis placed on compliance and education of
contractors, related Sanitation revenues have increased accordingly, as shown in this report.
Previous non-compliant contractors are currently remitting higher roll-off permit fees pursuant
to City Code. For example, after removing any revenues stemming from audit assessments
and the $1,000.00 annual permit fee, the OIG Sanitation Tax Auditor calculated that the
2022/23 fiscal year roll-off permit fee revenues increased 36.46% from the 2018/19 fiscal year
(($1,395,787.84 -$1,022,848.13 = $372,939.71 I $1,022,848.13). The following table shows
the corresponding adjusted roll-off permit fee revenues for each of the five most recent
completed fiscal years.
Completed Fiscal Roll-Off Permit
Year Fees
2018/19 $1,022,848.13
2019/20 * $901,061.30
2020/21 * $796,477.97
2021/22 ** $1,036,832.34
2022/23 $1,395,787.84
Source: Munis system, the City enterprise resource planning system
*
**
The OIG believes that the reported decline in revenues during 2019/20 and 2020/21
fiscal years was related to the impacts of the COVI D-19 pandemic.
The 2021/22 fiscal year total of $1,036,832.34 represents a $19,988.61 difference
from last year's reported total of $1,056,820.95 because two audit related payments
of $5,693.80 and $14,294.81 remitted by Lopefra Corp. and AES Portable Sanitation,
Inc. respectively, were incorrectly included in that fiscal year's total.
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Conclusion
Increased enforcement of the City Code provisions related to Sanitation, including those in
City Ordinance No. 2021-4456, have resulted in greater contractor compliance and significant
increases in Sanitation revenues during the five most recent fiscal years. The additional
Sanitation revenues collected related to increased enforcement of BTRs, NOVs, audits,
monthly permit fee filings and remittances, etc. have resulted in the City receiving additional
monies that, although due, would otherwise most likely not have been received. Furthermore,
audited contractors are receiving guidance on the taxability of prospective Miami Beach
transactions, which has resulted in more accurate prospective monthly roll-off permit fee
filings and remittances.
Despite the progress made through the collaboration of OIG, Sanitation, Code Compliance,
and Finance Department staff, there is still more work to be done. For example, discussions
are ongoing with the Office of the City Attorney and the City Administration regarding
recommended revisions to the City Code related to reducing existing ambiguities and/or
loopholes in the City Code, clearly defining its applicability to demolitions, the usage of
grapple service in debris removal, the use of wheeled containers and/or dump trucks to
remove debris when conventional (non-wheeled) roll-off containers are not used, as well as
facilitating the enforceability of Code provisions to all contractors operating in Miami Beach.
The OIG looks forward to a future in which contractors are more compliant with established
City regulations; and scofflaws are more readily identified and brought into compliance; unfair
competitive advantages in the marketplace are removed; and the City receives all revenue to
which it is entitled.
r General r 7 Date
Norma D puty Chief Auditor
Date
Dai 7
OFFICE OF THE INSPECTOR GENERAL, City of Miami Beach
1130 Washington Avenue, 6" Floor, Miami Beach, FL 33139
Tel: 305.673.7020 • Hotline: 786.897.1111
Email: CityofMiamiBeachOIG@miamibeachfl.gov
Website: www.mbinspectorgeneral.com
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