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    Next Steps After Approved Applications for New Jersey Cannabis Businesses

    January 23, 2023

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    If your conditional, conversion, microbusiness, or annual application has been approved by the Cannabis Regulatory Commission, congratulations! You have cleared the first major hurdle in obtaining a cannabis license in New Jersey.

    As advisors and legal counsel to a handful of successful applicants who have obtained conditional and annual approvals in each available class of licenses, Stark & Stark are keenly aware of the challenges facing prospective operators and industry entrants.

    Converting Conditional Approvals

    For those who received conditional approvals, you must now submit your conversion application, which will focus on your proposed site, local approvals, and various operating plans and standard operating procedures.  You have 120 days from the date of conditional approval to submit a conversion application with the ability to request an additional 45-day extension.  See N.J.A.C. 17:30-7.6(a)(2)-(b).

    The CRC may, at its discretion, extend the conditional license period on its own volition and has been doing just that for many conditional applicants struggling to secure real estate and/or financing during the conditional license period.

    During the conditional license period, a conditional applicant may add or change owners provided new owners with decision-making authority are qualified, i.e. meet the income threshold of N.J.A.C. 17:30-7.4(a)(5) and the majority ownership that qualified the applicant for a conditional license and/or priority status (diversely-owned, women-owned, impact zone, social equity, microbusiness, etc.) remains intact.

    For the most part, the conversion application mirrors a full annual application and requires the submission of detailed standard operating procedures, site plan, safety and security plan, environmental impact plan, etc.

    Annual License Requirements

    Annual applicants who receive approvals are now put to task to execute their business plans. Unfortunately, due to the passage of time and changes in the economic climate, many applicants will be looking for alternate properties, revising their business plans and corporate structures, and searching for investment dollars. Any changes in real estate, ownership, management, and financing will require change of location/ownership applications with additional disclosures.

    An annual applicant has 365 days from the date of approval to acquire real estate, build-out, and request a final onsite inspection from the CRC.  See N.J.A.C. 17:30-7.14(e).  Once the applicant is ready to begin operations, the CRC will conduct an inspection to determine whether the cannabis business premises, operations, plans, procedures, protocols, and actions are consistent with the annual license application and compliant with regulations.  See N.J.A.C. 17:30-7.14(g).

    Assuming no compliance or local municipal issues, the CRC will issue the applicant a formal cannabis license, which will enable the applicant to begin operations.

    Compliance Considerations

    Once operational, licensed operators must remain mindful of ownership limitations requiring the majority of the license applicants ownership interest, including the ownership interest that qualified it as a conditional applicant, diversely owned business, social equity business, impact zone business, or microbusiness, to remain the same for at least two years of operation.  See N.J.A.C. 17:30-6.8(k).

    Microbusinesses must maintain their microbusiness status for at least one year of operation before being permitted to convert the microbusiness license into an annual license.  See N.J.A.C. 17:30-7.15(a).

    In running the cannabis business, operators must further be cognizant of and comply with regulatory nuances concerning profit distributions (profits must be proportionally distributed in accordance with an owners percent ownership), dual ownership (except for passive investors a person can only be an owner of one licensed entity), and remuneration paid to management services contractors, financial sources, and vendor-contractors.  See N.J.A.C. 17:30-6.8, N.J.A.C. 17:30-6.9, and N.J.A.C. 17:30-6.10.

    We are ready to help you

    At Stark & Stark, our attorneys are deeply familiar with the labyrinthian cannabis rules and regulations applicable to your prospective business and have the specialized skill, knowledge, and experience to guide you through the application process to operations and beyond.

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