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HomeMy WebLinkAboutBYL 02-17P1CKE R1 NG Report to Executive Committee Report Number: BYL 02-17 Date: September 5, 2017 From: Paul Bigioni Director, Corporate Services & City Solicitor Subject: Update on Regulating Transportation Network Companies - File: L-2000 Recommendation: 1. That this report be received for information purposes; 2. That staff be authorized to schedule a public and industry stakeholder consultation meeting to receive feedback regarding proposed Transportation Network Company regulations; 3. That staff develop by-law provisions taking into account feedback from the consultation process and report back to Council at the November 6, 2017 Executive Committee meeting; and 4. That the appropriate City of Pickering officials be authorized to take the necessary actions as indicated in this report. Executive Summary: City staff have been monitoring the evolution of regulations pertaining to Transportation Network Companies (TNC's) with the intent of amending the City's Taxicab Licensing By-law to introduce provisions regulating Transportation Network Companies in the City of Pickering. The existing Taxicab By-law prohibits the operation of TNC's, and must be amended if businesses such as "Uber" are going to be permitted to operate. This report summarizes the types of regulations relating to Transportation Network Companies that have been introduced in other municipalities and outlines the direction that staff recommend to proceed with in order to enact similar regulatory by-law requirements. A public consultation process will be undertaken with Council approval. Financial Implications: This Report has no financial implications. Any licensing fees for Transportation Network Companies will be set out in the proposed Taxicab By-law amendments to be considered by Council in November. Discussion: The Municipal Act, 2001 provides municipalities with the ability to license businesses in order to ensure public safety, consumer protection and security. Through the licensing process, the Taxicab industry has been heavily regulated to set minimum standards for drivers and vehicles, establish the fares to be charged, and provide a means to address issues with drivers and vehicles through enforcement. With the introduction of ride -sharing mobile applications, the regulatory framework applicable to taxicabs has been substantially undermined BYL 02-17 Subject: Regulating Transportation Network Companies September 5, 2017 Page 2 and governments across the globe have encountered significant obstacles in attempting to enforce existing regulatory policies on the Transportation Network Companies facilitating ride - sharing use. The Sharing Economy was the subject of a report completed by Mars Solutions on behalf of the Province of Ontario and the City of Toronto. It recommended that municipalities should set a goal to develop ideas for effective regulation that create public value, support innovation and reduce administrative burden. A primary function of the Sharing Economy Report dealt with how to regulate "ride -sharing" services such as Uber. This type of company, referred to as a Private Transportation Provider, or as a Transportation Network Company, utilizes a mobile application to connect passengers with drivers for hire, and include companies such as Uber and Lyft. For the purposes of this report, they will be referred to as a Transportation Network Company or TNC. The Report also recommended that municipalities review the regulations governing the Taxicab Industry to establish a "more level playing field" for all vehicle for hire related businesses. The City's review of the Taxicab Licensing By-law has also included identifying areas where current licensing by—law regulations might be amended or removed to lessen the regulatory burden on the Taxicab Industry. The City of Pickering Taxicab Licensing By-law 6702/06 regulates the Taxicab Industry and was enacted primarily for the purposes of ensuring public safety and consumer protection. Provisions included in the by-law regulate: a) Taxicab tariff rates, authorized charges for waiting b) Meter inspection and sealing requirements c) Vehicle standards, including maximum vehicle age, identification requirements, maintenance standards, information for passengers, driver safety equipment d) Submission of a Vehicle Safety Standards Certificate e) Proof of Insurance f) Driver vetting (including Criminal Records Check, Driver Abstract, Medical Certificate) g) Driver Training and Testing h) Trip record requirements i) Number of Taxicab Plates issued by the City and process for future plate issuance j) Accessible Taxicab Requirements k) Acceptable driver and passenger conduct I) Brokerage Requirements The current Taxicab Licensing By-law was implemented after a significant review of the industry, consultation with industry stakeholders and discussions relating to industry issues at the time. Taxicab vehicles were in extremely poor condition, there were concerns with the level of service, and how this reflected on the City of Pickering. The standards currently in place improved the vehicles providing service and the taxicab industry as a whole. CORP0227-07/01 revised BYL 02-17 September 5, 2017 Subject: Regulating Transportation Network Companies Page 3 The City's existing Taxicab Licensing By-law prohibits the operation of Transportation Network Companies, as their vehicles fall within the definition of a taxicab and are prohibited from operating without a license. As the number of Taxicab plates in operation exceeds the formula for taxicab plates to be issued, it is impossible for TNC's to obtain a license therefore they are prohibited from operating. Currently the largest TNC operating in Canada is Uber. It has implemented operations across the country and is a standard alternative transportation option in many areas. The business model in place differs substantially from the taxicab industry, despite the service falling within the applicable regulations of the Taxicab Licensing By-law. Listed below are some of the parameters under which Uber currently operates: • All drivers wishing to apply to the platform undergo a third party criminal check, submit a driver's abstract, and copy of a valid driver's licence • Applicants must be over 18 years of age • Vehicles must be 10 years old or less • Uber provides blanket fleet insurance to all drivers on their platform while Uber services are engaged • Payments are charged to an account, so no cash transactions take place • Fares are provided to the passenger at the time the request is made, providing the option to decline the service if the fee charged is not acceptable • A rider is provided the driver's first name, photo, vehicle model and licence plate at the time of confirming the ride • Receipts are provided electronically • Drivers and passengers are rated after each trip to provide feedback • All trips are recorded Municipalities have considered and adopted different strategies in trying to rectify the imbalance between strict taxicab regulations and limited governance of TNCs. Some municipalities, such as the City of Barrie, have removed almost all restrictions relating to taxicabs such as limiting taxicab plates, setting fares, and imposing any vehicle requirements. Taxicab regulations are limited to basics of insurance, criminal checks and driver's abstracts and vehicle safety standards. This is in line with reports recommending that consumers will determine acceptable fares, vehicles, etc. by the choices they make in which service to use. Given the City of Pickering's past experience with poorly maintained taxicabs, and unreliable services, staff believe this would be a step backward in ensuring reliable transportation options to the public. City staff are concerned that market forces alone, in Pickering's small market, are insufficient to assure safe and reliable service. The City of Pickering's taxicab industry functions as many others. Taxicab brokerages make their money from taxicab drivers through the payment of dispatch fees, plate and car use, insurance, etc. Brokerages have little incentive to ensure customers are satisfied with the service provided, as the customer is not who is paying the brokerage. The City of Pickering does not have a substantial bar traffic for the taxicab industry. A large percentage of taxicab users are seniors or CORP0227-07/01 revised BYL 02-17 Subject: Regulating Transportation Network Companies September 5, 2017 Page 4 fixed income residents who rely on taxicabs through the traditional service delivery methods (telephone calls or taxi stands, not mobile applications). The City of Toronto introduced regulations governing TNCs in 2016. Toronto's TNC provisions include the same licensing requirements as Pickering would deem essential to ensuring public safety (criminal reference check, insurance, driver's abstract, vehicle safety standards report) Vehicle standards are also consistent with the maximum ten year model year accepted through the City's current by-law. Uber currently requires that all drivers operating in the Greater Toronto Area obtain a City of Toronto licence, as it is assumed that any driver providing service in the GTA will be required to deliver or pick up passengers in the City of Toronto. The City of Toronto has expanded their staffing levels significantly to process the large numbers of TNC driver licences required. Smaller municipalities can benefit from the requirements introduced in Toronto, by accepting the vetting of drivers that has already taken place to obtain a TNC licence with Toronto. New by-laws in Hamilton and Waterloo Region have introduced regulations for TNCs on a smaller scale than Toronto. Licensing requirements all mirror what was adopted by Toronto but eliminate licensing of individual TNC drivers, instead licensing the TNC with an annual and per trip fee. The Transportation Network Company would be responsible for administering all licensing of drivers and ensuring compliance with the municipal by-law. This model significantly reduces the administrative burden on small municipalities that do not have sufficient administrative staff to process the licensing data required for individual TNC driver licensing. The TNC would be required to provide the City information regarding drivers, vehicles, trips, etc. through the licensing requirements regulating the TNC. Existing training provided by the TNC would be deemed an acceptable alternative to municipal training. At this point, subject to further public and stakeholder input, City staff support the implementation of regulations that license TNCs in a manner consistent with existing regulations adopted in other GTA municipalities . The framework established in Hamilton and Waterloo is the best model for application in Pickering, based on the consistent principles relating to public safety and the level of administration required. As much as it makes sense for Pickering to adopt TNC regulations similar to those in other GTA municipalities, City staff are concerned about allowing surge pricing. Exposing customers to such price uncertainty may be unwise, however, it would be difficult to enforce a prohibition on surge pricing. The best approach to surge pricing may be to allow it only for rides booked through an app, and only upon clear disclosure in advance. This is the approach to surge pricing taken by all other GTA municipalities. CORP0227-07/01 revised BYL 02-17 Subject: Regulating Transportation Network Companies September 5, 2017 Page 5 It is recommended that all vehicle for hire services (both taxicabs and TNCs) be required to meet the following minimum standards: • Proof of liability insurance • Vehicle safety standard certificate and submit vehicle for inspection upon request • Driver Criminal Records Search & Driver Abstract • Proof of HST registration (if required by CRA) • Identification for both vehicles and drivers (photo ID, and vehicle identifier) • Records of all trips, including identity of driver providing trip, location, fare, etc. • Driver Training, including accessible service needs • Maximum vehicle model year While some changes are recommended to reduce requirements for taxicab driver licensing, such as the elimination of the requirement for a medical certificate and driver refresher training, staff do not recommend the complete repeal of all driver and vehicle standards. While consumers' choices will determine the success of the service providers, there must still remain a means to address service issues. Brokerages do not maintain the same level of participation in Pickering that is the case in larger cities like Toronto. If all mandatory standards are repealed, services provided will be negatively impacted. Accessible Service is currently provided by taxicabs only. Any requests for accessible service received by a TNC are referred to local taxicab brokerages. The City of Pickering currently has 3 dedicated accessible taxicab plates, as well as several other accessible vehicles providing service through regular taxicab plates. This lack of service to passengers with accessible needs is another issue that needs to be addressed with TNCs. In some cases, TNCs are required to pay a surcharge of $0.06 per trip to fund alternate accessible service options. When licensing provisions are implemented for TNCs this issue must be addressed through the provision of service or the payment of a surcharge. One recommendation suggests that municipalities should spread the cost of accessible service rather than place the burden on the passenger, taxicab owner or driver. It proposes that this cost should be spread out across the industry through licensing fees. This fund can then serve as a subsidy program to help drive down the cost of retrofitting vehicles for prospective taxicab owners and drivers. However, how to administer this type of program is still being debated. Staff will continue to monitor developments in this area. The Accessibility Advisory Committee will also be requested to provide feedback on this issue. Upon adopting licensing provisions for TNCs, staff recommend the ongoing review of changes implemented, reporting on safety issues, customer concerns, and TNC compliance with regulations. CORP0227-07/01 revised BYL 02-17 Subject: Regulating Transportation Network Companies September 5, 2017 Page 6 Attachment No. 1 to this report is a draft outline of recommended TNC Regulations; Attachment No. 2 to this report is the proposed revisions to the Taxicab Licensing By-law; and Attachment No. 3 is a comparison of various municipal regulations relating to TNCs, which is provided for Council's information. This information will be circulated for public consultation to industry stakeholders, posted on the City's website and presented at a public meeting for feedback. Following this process staff recommend that a report be brought back to Council for review. Attachments: 1. Recommended TNC Regulations 2. Proposed Revisions to Taxicab Licensing By-law 3. Vehicle for Hire Regulations Comparison Prepared By: Kimberly Thompson, CMM III, CPSO Appro d/Endorsed By: Paul Big Manager, Municipal Law Enforcement Services Director,', Crparate Services & City Solicitor KT:kt Recommended for the consideration of Pickering Cit Council Tony Prevedel, P.Eng. Chief Administrative Officer 1 2d7 CORP0227-07/01 revised ATTACHMENT#_TO REPORT# ,/' /.of. 1 C�� 0 PICKERING Recommended Transportation Network Company Regulations: • Licence all Transportation Network Companies • Base licence fees on number of vehicles in TNC fleet • Required all TNCs to only utilize drivers that possess a City of Toronto Private Transportation Company Driver's licence • Require TNCs to provide accessible service or pay a voluntary surcharge to fund • Require each TNC to obtain and provide proof of Commercial General Liability fleet insurance of $5,000,000.00 covering all drivers and passengers while engaged in providing TNC services • Limit TNC trips to those pre -arranged through the use of an "app" • Set a vehicle maximum age limit of ten years • Require TNCs to provide access to platform for enforcement purposes • Require TNCs to provide information requested by the City within 2 business days • Require all TNCs to provide quarterly reports to the City regarding drivers, trips, complaints • Require full disclosure of any surge pricing in the form of the amount to be charged prior to the customer accepting the service • Prohibit TNC drivers from accepting cash • Require vehicle identifier on all TNC service provider's vehicles • Require TNC disclose driver name and photo, vehicle make, model and licence plate information and the current location of the PTP vehicle to the passenger upon acceptance of service • Prohibit smoking in all TNC vehicles • Demonstrate adequate security measures are in place to ensure personal data collected relating to passengers and drivers is protected • Provide a link to rate or comment on the PTP driver and PTP vehicle • Provide an electronic receipt to the passenger at the end of the service ATTACHMENT# `--° TO REPORT# E5L PICKERING Proposed Revisions to Taxicab Licensing By-law 6702/06 • Remove the requirement for a medical certificate from Taxicab Driver's License application • Remove the requirement for an offer of employment for Taxicab Driver's License Applicaton • Eliminate Taxicab Driver Refresher Training requirement • Eliminate Taxicab Driver personal appearance standards • Eliminate two-way radio regulations • Eliminate requirement for Emergency 911 flashing light • Eliminate requirement for GPS emergency alert system • Eliminate requirement for street guide in Taxicab • Eliminate Taxicab Vehicle standards relating to seat width and number of doors • Set fare on meter as a maximum, individuals may choose to charge less provided meter is left running to display actual fare • Eliminate minimum hours of operation per week requirements • Permit advertising medium approved by the City • Remove Clean Air Cab Plate provisions • Decisions of Taxicab Advisory Committee in regarding to licensing applications or appeals become final and binding • Revise Taxicab Driver Training Curriculum to reduce timeframe and areas covered BARRIE BY-LAW Yes No Companies provide training to drivers E o Z II co II SA 0 T 0 d cUo 0 No } g 0 Intact ridesharing insurance Z Z MISSISSAUGA PILOT PROGRAM Yes No Companies provide training to drivers a E E N o T N O E N� T co C 0 d co C 11 O N co U c t- O Lc co d N O C LE _O 0 F R Y�<oUm= Z Intact ridesharing insurance U O Z HAMILTON BYLAW 0 No Companies provide (training to drivers 10 years d m 0 o T .2U �a to al o a en )- CO Intact ridesharing insurance No No WINDSOR STAFF REPORT } No Companies provide training to drivers N `m d 0, o d iti 0 t T d N O 6a tt N a >-fo Intact ridesharing insurance No No WATERLOO REGION BYLAW N Y No Companies provide training to drivers N co 0 T O A a `mA A a!lc CON ., II ) d GAJ 0 C d O O X 0 0 00 'LO 0 0 ca ), 0 0 0 O¢ T O 0 0 d 6 N O d— a C U d w i' .0 N 0 0 0 C c.- T co ®NU>>,I'-1—Ct(OO>,- Intact ridesharing insurance. oN Z OAKVILLE BYLAW Yes No Companies provide training to drivers N E >, IA- •T N d NM co N a f N 0F N C >- CO 0 Intact ridesharing insurance 0 Z OTTAWA BYLAW Yes No Companies provide training to drivers E E N T o d U .0 II 0 N co 0 d >_ N da ,— T C C' co co h 00 E >. Q (n N A �al.=v'n d.T.w� G C 'C G 0 a t- S Q CO U o F3- co U> o Intact ridesharing insurance 0 Z TORONTO BYLAW Yes No Companies provide training to drivers • 7 year max d d iac me f N T i C IVY c UY a) -2 `m c p.o 2 ` p 0 0m `< wN 0 5' 0 z' a O T 2 C0 0 C c m v �'3 m A o Q w w 0.1— (n W t -`a Intact ridesharing insurance 0 Z 0 Z NIAGARA REGION BYLAW Yes co E fl --do 2 i E 5'E d o Z U ` -` 0_ o Iloyearmax- >' m -o m -do 0 0 O c r j (q 0 Intact ridesharing insurance 0 Z N PTC/TNC Framework -- o co co = 0 c IX L d c >'- Tc ' � m 6*Of 0 U Ld >6 c O d V V d L a > c Insurance Surge Price Cap Vehicle Supply Cap ATTACHMENT# MISSISSAUGA BARRIE BY-LAW PILOT PROGRAM p o Q V U O 6 r E+ co v", a) co N w E> p_ co '- ._ �a Online Through MTO database and deliver result to Uber to make available to City L T m i O QU L p E a) Y N f'J L 0 N U N L W o > ma cia a) o = mom- LV C S U — OI O _ N? y N U 0 c C o 0 s 00022 Dn > 0 b C 0 N Q. O O CD CO O O O EA O + O N 0 04 V3 w`� I Online Through MTO database and deliver result to Uber to make available to City O• 0 'p E C N m o o co U c L N C > > Ol 0)-oo U O N N O U o a)L co B t n> C OI 0 - 1 _ 0 0 > O- N 0 C N Oi Or CO O O_U L T 0) t O O N n0 t o 2 N 2 N co L U U 0 L N 0 _ m a UD_ Oo N c O O U -2 . co N 2 E Ooco CO o.O0> O a O M C t U LO U a) L O N C > g 9-0 O N n) O U U d L co > a) O N - O - U > >, U C" O N L N O$ar 5 n0 HAMILTON BYLAW = a C pa. O O pCO 6O O_EA O+to 0 �.r "- Online Through MTO database and deliver result to Uber to make available to City WINDSOR STAFF REPORT N a) N " N O -Y p 'C c ---J. as v0 O O- O O_ co ea+ No specific mention in staff report. WATERLOO REGION BYLAW a,v d CD" O p- O C O CrN « CO�� O w• (3,__7..oU U) Y NN N N E p O CIN OL 8 j N N -2 N>N'� C 0H-NpvDm U o 0 NL _U N O) V ,0 0= L C>> O C U O N a) -= NL(0"O Y O C m N 7 9 N m O -OUyD O_V'O ac owa�s co_a5 OAKVILLE BYLAW a + O ca " CC Q 'Online Through MTO database and deliver result to Uber to make available to City 0 0 0 0E 0 d m 0 co0L` O -0..E > pl'OLU O N O�2w U O=co-0Ln>O Cm7 = co 3 >.UC C'- N 5 CO O.0 OTTAWA BYLAW 0 d N = G G p N N OD EEA 0. N + " P-- 0 a) EA w- 0_ Online Through MTO database and deliver result to Uber to make available to City O p 0E c Y N d m 3 o U a) L'2 O S C Z _ m pI -O UO d v cow ry L (n a V LN j _ m o o C O 0.0 N L 0 DC. 0 CO 0 O_ 0 TORONTO BYLAW m O p7 0 ,o m _o O 3 O jp 'r C ,LC If > O N N 0 0 �b3'O N 0....-,,,- 0 O :.NQ O O U 0 N aJ > N L` Q C O O. C d N N> O V y O` N O.0 N E. C"L N N O e NQ.r—o-O Ea O_C I- (Online Through MTO database and deliver result to Uber to make available to City O .o o "a N 0 m 0 N C>> pI OI"O oo N m o 0 0 , c0 -0 N O C OI N— L-' -O y 0 U co 0 r co C O N a N L OL.. a ft D ¢ o NIAGARA REGION BYLAW c d m co- o, 3+r NC a)) ea N �a O o r.- W N O ° Lmma) N m m Nm d C QpNN ON>p N N OH - p -o 2 E NU U L 'r N O OI 'p no a o o 0 =CDaOm N L o a) N .0 o 2 > CO'C U''" _—NmY Z o O N— a) U a) 1-aa)015-1P-E c32 OwOcn Et-oD ms o f=q m CC 0a 1.7 El. 0 I'c > O0 E0 O It c nr. s 0) Et 0 OKU