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- January 14, 2022 - Frank Wood

From: Amanda Zuretti <azuretti@petrinilaw.com>
Sent: Thursday, December 23, 2021 12:18 PM
To: John A. Stefanini <jastefanini@framinghamma.gov>; Thatcher W. Kezer <tkezer@framinghamma.gov>
Cc: Chris Petrini <cpetrini@petrinilaw.com>; Maureen McKeon <mmckeon@framinghamma.gov>
Subject: RE: Marijuana Ordinance

CAUTION: This email originated from outside your organization. Do not click links or open attachments unless you recognize and verify the sender and know the content is safe.

Hi, John, The answers to your question are below:

1. What is the legal authority providing for this conversion?

The Supreme Judicial Court’s August 31, 2021 holding in CommCan, Inc. v. Mansfield, 488 Mass. 291, 296 (2021), stating that  “it is plain from the statutory language that the purpose of the provision is to make it easier for medical marijuana dispensaries to convert to retail marijuana sales. See Commonwealth v. LeBlanc, 475 Mass. 820, 821, 62 N.E.3d 34 (2016) (“Clear and unambiguous language is conclusive as to legislative intent”). The only condition of consequence set by § 3 (a) (1) is that the medical marijuana dispensary must have been “licensed or registered not later than July 1, 2017.” 

2. Is this an isolated issue or are there other possible “medical” conversions that we should anticipate and plan for?

We do not believe so. Three entities, Manna Wellness, Inc., n/k/a Temescal Wellness of Massachusetts, Inc. at 665 Cochituate Road., Beacon Compassion, Inc. at 315 Worcester Road and CommCan, Inc., which has no location in Framingham, hold Host Community Agreements executed by the Board of Selectmen six years ago on October 20, 2015. These agreements have no termination date. Temescal Wellness was one of the first entities to open both adult use and medical marijuana establishments. Beacon Compassion, Inc., applied for an adult use Host Community Agreement in 2019 has not yet commenced operations in Framingham for its medical marijuana establishment. CommCan, Inc., has no location in Framingham and has not applied for an adult use Host Community Agreement.

3. Should this applicant be required to sign a new HCA?

            Yes. Framingham requires a Host Community Agreement for each license type sought from the Cannabis Control Commission. See https://webapps.framinghamma.gov/WebLink/ElectronicFile.aspx?docid=1305335&dbid=0&repo=Framingham

4. What is the status of each of the other locations?

            See the response to Question 2  and the spreadsheet below:

ENTITY NAMECCC LICENSE TYPEHCA startHCA end
BEACON COMPASSION INC.Medical Marijuana Treatment Center10/20/2015None stated
BAYSTATE CANNABIS CULTIVATION, LLC, F/K/A CAREGIVER-PATIENT CONNECTION, LLCProduct Manufacturer7/22/20193 years from Final License
BAYSTATE CANNABIS CULTIVATION, LLC, F/K/A CAREGIVER-PATIENT CONNECTION, LLCCultivator7/22/20194/16/2024
CLOUD CREAMERY, LLCProduct Manufacturer7/26/20196/30/2022
COMMCAN, INC.Medical Marijuana Treatment Center10/20/2015None stated
COMMONWEALTH FARM 1761, INC.Product Manufacturer10/28/201910/28/2022
COMMONWEALTH FARM 1761, INC.Cultivator10/28/201910/28/2022
CMA HOLDINGS, LLC (assignee of CULTIVATE LEICESTER, INC.)Medical Marijuana Treatment Center7/10/20196/30/2022
CMA HOLDINGS, LLC (assignee of CULTIVATE LEICESTER, INC.)Retailer (non-medical)7/10/20196/30/2022
INNOVATIVE FLOWER, LLC, d/b/a CROPRetailer (non-medical)9/30/20199/30/2022
MCR LABS, LLCLaboratory7/31/20187/31/2023
NOVA FARMS, LLC (BCWC, LLC)Retailer (non-medical)8/22/20198/22/2022
RICHARDS FLOWERS, LLCCultivator12/17/202012/17/2023
TEMESCAL WELLNESS OF MASSACHUSETTS HOLDINGS, LLC, f/k/a TEMESCAL WELLNESS OF MASSACHUSETTS INC., f/k/a MANNA WELLNESS, INC.Medical Marijuana Treatment Center10/20/2015None stated
TEMESCAL WELLNESS OF MASSACHUSETTS HOLDINGS, LLC, f/k/a TEMESCAL WELLNESS OF MASSACHUSETTS INC., f/k/a MANNA WELLNESS, INC.Retailer (non-medical)5/13/20195/13/2022
LIFE ESSENCE INC. (“LIFE ESSENCE”) DOING BUSINESS AS TRULIEVE (assignee of PATIENT CENTRIC OF MARTHA’S VINEYARD, LLC)Medical Marijuana Treatment Center11/17/202111/17/2024
LIFE ESSENCE INC. (“LIFE ESSENCE”) DOING BUSINESS AS TRULIEVE (assignee of PATIENT CENTRIC OF MARTHA’S VINEYARD, LLC)Retailer (non-medical)11/20/201911/20/2022
UNION TWIST, INC.Retailer (non-medical)3/26/20193/25/2022
GREEN ANALYTICS, (assignee of VIRIDIS ANALYTICS MA, LLC, d/b/a EVIO LABS)Laboratory8/1/20188/1/2023
MASSACHUSETTS SOLVENTLESS EXTRACTIONS, LLCProduct ManufacturerTBDTBD
PINE DELIVERY, INC.Delivery Operator12/8/202112/8/2024
PINE DELIVERY, INC.Delivery Courier12/8/202112/8/2024

5. What changes are needed to our ordinances to make this change?

            An amendment to General Ordinances Article VIII, Section 9.3 to allow a seventh adult-use marijuana retail establishment requires a majority vote of the City Council.

Sincerely,

Amanda Zuretti

Petrini & Associates, P.C.

372 Union Avenue

Framingham, MA 01702

Tel. (508) 665-4310

Fax (508) 665-4313

azuretti@petrinilaw.com

www.petrinilaw.com

 Please visit our newly redesigned website as of 2021 at www.petrinilaw.com!

The information transmitted is intended only for the person or entity to which it is addressed and may contain confidential and/or privileged material.  Any review, retransmission, dissemination, or other use of, or taking any action in reliance upon, this information by persons or entities other than the intended recipient is prohibited.  If you receive this in error, please contact the sender and delete the material from any computer.

IRS CIRCULAR 230 DISCLOSURE: To ensure compliance with the requirements imposed by the IRS, Petrini & Associates, P.C. hereby provides notice to the recipient(s) of this e-mail that any U.S. tax advice herein contained in this communication, including any attachments hereto, is not intended or written to be used, and cannot be used, for the purpose of (i) avoiding penalties under the Internal Revenue Code or (ii) promoting, marketing or recommending to another party any transaction or matter addressed herein.

—–Original Message—–
From: John A. Stefanini <jastefanini@framinghamma.gov>
Sent: Thursday, December 23, 2021 11:41 AM
To: Thatcher W. Kezer <tkezer@framinghamma.gov>; Amanda Zuretti <azuretti@petrinilaw.com>
Cc: Christopher J. Petrini <cpetrini@petrinilaw.com>; Maureen McKeon <mmckeon@framinghamma.gov>
Subject: Re: Marijuana Ordinance

[EXTERNAL SENDER]

Good. Let’s talk on Tuesday at 2:00. Please call my conference number at 888-472-4293,,4066007#. The background materials were helpful. A few additional questions:

1. What is the legal authority providing for this conversion?

2. Is this an isolated issue or are there other possible “medical” conversions that we should anticipate and plan for?

3. Should this applicant be required to sign a new HCA?

4. What is the status of each of the other locations?

5. What changes are needed to our ordinances to make this change?

​

Thank you.

John

________________________________

From: Thatcher W. Kezer

Sent: Wednesday, December 22, 2021 2:30 PM

To: Amanda Zuretti

Cc: Chris Petrini; John A. Stefanini; Maureen McKeon

Subject: Re: Marijuana Ordinance

John,

I am available between 2:00-4:00 across Monday, Tuesday and Wednesday. I am scattered the other times during those days.

Thatcher

Thatcher W. Kezer III

Chief Operating Officer

City of Framingham

150 Concord Street

Framingham MA 01702

508.532.5400

tkezer@framinghamma.gov<mailto:tkezer@framinghamma.gov>

On Dec 22, 2021, at 2:27 PM, Amanda Zuretti <azuretti@petrinilaw.com<mailto:azuretti@petrinilaw.com>> wrote:

CAUTION: This email originated from outside your organization. Do not click links or open attachments unless you recognize and verify the sender and know the content is safe.

Hi, John, I am in the office from Monday to Thursday next week. With the exception of noon to 2:00 p.m. on Monday and Wednesday, I’m available. Sincerely,

Amanda Zuretti

Petrini & Associates, P.C.

372 Union Avenue

Framingham, MA 01702

Tel. (508) 665-4310

Fax (508) 665-4313

azuretti@petrinilaw.com<mailto:azuretti@petrinilaw.com>

www.petrinilaw.com<http://www.petrinilaw.com/>

<image001.jpg>

         <image002.jpg>

Please visit our newly redesigned website as of 2021 at www.petrinilaw.com<http://www.petrinilaw.com/>!

The information transmitted is intended only for the person or entity to which it is addressed and may contain confidential and/or privileged material.  Any review, retransmission, dissemination, or other use of, or taking any action in reliance upon, this information by persons or entities other than the intended recipient is prohibited.  If you receive this in error, please contact the sender and delete the material from any computer.

IRS CIRCULAR 230 DISCLOSURE: To ensure compliance with the requirements imposed by the IRS, Petrini & Associates, P.C. hereby provides notice to the recipient(s) of this e-mail that any U.S. tax advice herein contained in this communication, including any attachments hereto, is not intended or written to be used, and cannot be used, for the purpose of (i) avoiding penalties under the Internal Revenue Code or (ii) promoting, marketing or recommending to another party any transaction or matter addressed herein.

From: Christopher J. Petrini <cpetrini@petrinilaw.com<mailto:cpetrini@petrinilaw.com>>

Sent: Wednesday, December 22, 2021 2:22 PM

To: John A. Stefanini <jastefanini@framinghamma.gov<mailto:jastefanini@framinghamma.gov>>; Thatcher W. Kezer <tkezer@framinghamma.gov<mailto:tkezer@framinghamma.gov>>

Cc: Amanda Zuretti <azuretti@petrinilaw.com<mailto:azuretti@petrinilaw.com>>; Maureen McKeon <mmckeon@framinghamma.gov<mailto:mmckeon@framinghamma.gov>>

Subject: RE: Marijuana Ordinance

John, happy holidays. I’ll leave for Amanda and Thatcher to schedule the meeting with you.  They have been keeping me informed.

Christopher J. Petrini

Petrini & Associates, P.C.

372 Union Avenue

Framingham, MA 01702

Tel. (508) 665-4310

Fax (508) 665-4313

cpetrini@petrinilaw.com<mailto:cpetrini@petrinilaw.com>

www.petrinilaw.com<http://www.petrinilaw.com/>

<image001.jpg>

<image002.jpg>

<image003.png>    <image004.jpg>

The information transmitted is intended only for the person or entity to which it is addressed and may contain confidential and/or privileged material.  Any review, retransmission, dissemination, or other use of, or taking any action in reliance upon, this information by persons or entities other than the intended recipient is prohibited.  If you receive this in error, please contact the sender and delete the material from any computer.

IRS CIRCULAR 230 DISCLOSURE: To ensure compliance with the requirements imposed by the IRS, Petrini & Associates, P.C. hereby provides notice to the recipient(s) of this e-mail that any U.S. tax advice herein contained in this communication, including any attachments hereto, is not intended or written to be used, and cannot be used, for the purpose of (i) avoiding penalties under the Internal Revenue Code or (ii) promoting, marketing or recommending to another party any transaction or matter addressed herein.

—–Original Message—–

From: John A. Stefanini <jastefanini@framinghamma.gov<mailto:jastefanini@framinghamma.gov>>

Sent: Wednesday, December 22, 2021 2:21 PM

To: Thatcher W. Kezer <tkezer@framinghamma.gov<mailto:tkezer@framinghamma.gov>>

Cc: Amanda Zuretti <azuretti@petrinilaw.com<mailto:azuretti@petrinilaw.com>>; Maureen McKeon <mmckeon@framinghamma.gov<mailto:mmckeon@framinghamma.gov>>; Christopher J. Petrini <cpetrini@petrinilaw.com<mailto:cpetrini@petrinilaw.com>>

Subject: Re: Marijuana Ordinance

[EXTERNAL SENDER]

​Good afternoon. Thatcher and I spoke last night and in lieu of a meeting, we will do a call next week. What time works for the two of you? John

________________________________

From: Thatcher W. Kezer

Sent: Tuesday, December 21, 2021 6:03 PM

To: John A. Stefanini

Cc: Amanda Zuretti; Maureen McKeon; Chris Petrini

Subject: Re: Marijuana Ordinance

I’m looking for the Zoom link.

Thatcher W. Kezer III

Chief Operating Officer

City of Framingham

150 Concord Street

Framingham MA 01702

508.532.5400

tkezer@framinghamma.gov<mailto:tkezer@framinghamma.gov<mailto:tkezer@framinghamma.gov%3cmailto:tkezer@framinghamma.gov>>

On Dec 21, 2021, at 2:40 PM, John A. Stefanini <jastefanini@framinghamma.gov<mailto:jastefanini@framinghamma.gov<mailto:jastefanini@framinghamma.gov%3cmailto:jastefanini@framinghamma.gov>>> wrote:

As there is insufficient time for us to adopt an ordinance to create a seventh license and simultaneously there will be a change in the Mayor’s office, the Council wanted to gather the information and outline option to cure this problem so that the next Council is prepared to address this matter in early January. Or more simply put, the agenda is yours to set. John ________________________________________

From: Amanda Zuretti <azuretti@petrinilaw.com<mailto:azuretti@petrinilaw.com<mailto:azuretti@petrinilaw.com%3cmailto:azuretti@petrinilaw.com>>>

Sent: Tuesday, December 21, 2021 12:48 PM

To: John A. Stefanini; Thatcher W. Kezer

Cc: Maureen McKeon; Chris Petrini

Subject: RE: Marijuana Ordinance

CAUTION: This email originated from outside your organization. Do not click links or open attachments unless you recognize and verify the sender and know the content is safe.

Councilor Stefanini, What is the agenda for the meeting?

Amanda Zuretti

Petrini & Associates, P.C.

372 Union Avenue

Framingham, MA 01702

Tel. (508) 665-4310

Fax (508) 665-4313

azuretti@petrinilaw.com<mailto:azuretti@petrinilaw.com<mailto:azuretti@petrinilaw.com%3cmailto:azuretti@petrinilaw.com>>

www.petrinilaw.com<http://www.petrinilaw.com/>

Please visit our newly redesigned website as of 2021 at www.petrinilaw.com<http://www.petrinilaw.com/>!

The information transmitted is intended only for the person or entity to which it is addressed and may contain confidential and/or privileged material.  Any review, retransmission, dissemination, or other use of, or taking any action in reliance upon, this information by persons or entities other than the intended recipient is prohibited.  If you receive this in error, please contact the sender and delete the material from any computer.

IRS CIRCULAR 230 DISCLOSURE: To ensure compliance with the requirements imposed by the IRS, Petrini & Associates, P.C. hereby provides notice to the recipient(s) of this e-mail that any U.S. tax advice herein contained in this communication, including any attachments hereto, is not intended or written to be used, and cannot be used, for the purpose of (i) avoiding penalties under the Internal Revenue Code or (ii) promoting, marketing or recommending to another party any transaction or matter addressed herein.

—–Original Message—–

From: John A. Stefanini <jastefanini@framinghamma.gov<mailto:jastefanini@framinghamma.gov>>

Sent: Tuesday, December 21, 2021 12:44 PM

To: Thatcher W. Kezer <tkezer@framinghamma.gov<mailto:tkezer@framinghamma.gov>>

Cc: Amanda Zuretti <azuretti@petrinilaw.com<mailto:azuretti@petrinilaw.com>>; Maureen McKeon <mmckeon@framinghamma.gov<mailto:mmckeon@framinghamma.gov>>

Subject: Re: Marijuana Ordinance

[EXTERNAL SENDER]

?Thank you both. I will send you the Zoom information when it is available. Please forward any background information you would like us to incorporate into the public record. John

________________________________

From: Thatcher W. Kezer

Sent: Tuesday, December 21, 2021 10:05 AM

To: John A. Stefanini

Cc: Amanda Zuretti

Subject: Re: Marijuana Ordinance

I’m available at 6:00.

Thatcher W. Kezer III

Chief Operating Officer

City of Framingham

150 Concord Street

Framingham MA 01702

508.532.5400

tkezer@framinghamma.gov<mailto:tkezer@framinghamma.gov<mailto:tkezer@framinghamma.gov%3cmailto:tkezer@framinghamma.gov>>

On Dec 20, 2021, at 9:16 PM, John A. Stefanini <jastefanini@framinghamma.gov<mailto:jastefanini@framinghamma.gov<mailto:jastefanini@framinghamma.gov%3cmailto:jastefanini@framinghamma.gov>>> wrote:

Good evening. Following up on the last Council meeting, are the two of you available to brief the Rules & Ordinance Subcommittee on Tuesday, December 28 at 6:00 PM via Zoom to discuss amendments to this ordinance to address the issue that you raised at our meeting. To be clear, we will be gathering information to file with Council in January as there is insufficient time left in the current session to resolve this matter this year. Thank you. John One Framingham – Focused on the Future Please be advised that the Massachusetts Secretary of State considers e-mail to be a public record, and therefore subject to public access under the Massachusetts Public Records Law,M.G.L. c. 66 § 10.

One Framingham – Focused on the Future

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