HomeMy WebLinkAbout26-05 ApplicationAPPEAL APPLICATION #26 -05
HOLIDAY SIGNS
Staff Report for the Board of Zoning Appeals
Prepared: December 1, 2005
Staff Contact: Mark R. Cheran, Zoning Administrator
This report is prepared by the Frederick County Planning Staff to provide information to the
Board of Zoning Appeals to assist them in making a decision on this request It may also be
useful to others interested in this zoning matter.
BOARD OF ZONING APPEALS HEARING DATE:
December 20, 2005 Pending APPROVED
LOCATION: The property is located at 1400 Tasker Road
MAGISTERIAL DISTRICT: Opequon
PROPERTY ID NUMBER(S): 75- A -105D
PROPERTY ZONING USE: Zone: B2 (General Business) District
Land Use: Business
ADJOINING PROPERTY ZONING USE:
North: Zone RP (Residential Performance) Land Use: Residential
East: Zone RP (Residential Performance) Land Use: Residential
South: Zone: RP (Residential Performance) Land Use: Vacant
West: Zone: B2 (General Business) Land Use: Business
APPEAL: To appeal the decision of the Zoning Administrator in the administration of the Frederick
County Zoning Ordinance, Section 165 -30A (1), animated or flashing signs.
REASON FOR APPEAL: Applicant is appealing the decision ofthc Zoning Administrator as to the
use of LED (Light Emitting Diode) and EMD (Electronic Message Display) signage in Frederick
County.
Appeal Application #26 -05. Holiday Signs
December 1, 2005
Page 2
STAFF COMMENTS: The applicant is appealing the decision of the Zoning Administrator in the
administration of the Frederick County Zoning Ordinance with regards to LED (Light Emitting
Diode) and EMD (Electronic Message Display) signs. Section 165 -30 A (1) of the Frederick County
Zoning Ordinance does not allow animated or flashing signs within Frederick County. Section 165-
156 of the Frederick County Zoning Ordinance defines animated and flashing signs (See
attachments). Section 165 -4 of the Frederick County Zoning Ordinance authorizes the Zoning
Administrator to make interpretations and applications of the zoning ordinance. Frederick County, in
keeping with the intent and definition of animated and flashing signs, historically has not allowed
this type of signage.
STAFF CONCLUSIONS FOR THE December 20, 2005 MEETING: Staff is requesting to affirm
the decision of the Zoning Administrator in the administration of the Frederick County Zoning
Ordinance, Section 165 -30A (1) and Section 165 -156, Sign, H I, that LED and EMD signage is
not permitted in Frederick County.
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Streets
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Secondary Roads
Tertiary Roads
Winchester City Roads
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a Urban Development Area
«SWSA
Zoning
C 81 (Business, Neighborhood District)
tag 82 (Business. General District)
83 (Business, Industrial Transition District)
EM (Extractive Manufacturing District)
HE (Higher Education District)
M1 (Industrial, Light District)
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M2 (Industrial, General District)
MH1 (Mobile Home Community District)
MS (Medical Support District)
R4 (Residential, Planned Community District)
R5 (Residential Recreational Community District)
RA (Rural Areas District)
RP (Residential Performance District)
0
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250
Appeal 26 05
Holiday Signs
(75- A -105D)
500
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1,000 Feet
Streets
Ake Primary Roads
Secondary Roads
Terclary Roads
Winchester City Roads
p p H a o r i c id e l s y Signs
0
Appeal 26 05
Holiday Signs
75 A 105D
250 500 1,000 Feet
165-29 FREDERICK COUNTY CODE 165-30
(2) In such cases, the Zoning Administrator may require a "traffic
access plan which describes existing traffic conditions and
design on the streets abutting the site and the methods proposed
to ensure that the intent of this section has been met.
C. Internal circulation. A complete system of internal traffic circulation
shall be provided to serve all uses in any shopping center, industrial
park or any development included in a single master development
plan, site plan or subdivision plat approved by Frederick County. In
such developments, internal access shall be provided in a fashion so
that all uses can be mutually accessed without entering onto arterial or
primary highways. In such cases, a pattern of internal circulation shall
be designed to ensure that conflicts are avoided between moving
vehicles, parking areas, pedestrian areas, loading areas and the various
uses provided.
D. Pedestrian access. Safe pedestrian walkways shall be. provided to all
uses on and included in a master plan or site plan approved by
Frederick County. Sidewalks shall be provided in conformance with
adopted corridor or walkway plans or approved master development
plans. The Planning Commission may require additional sidewalks or
walkways on master plans or site plans to promote a general system
of pedestrian access in residential neighborhoods or business
corridors.
E. Fire lanes. Fire lanes shall be required as set forth in Chapter 90, Fire
Prevention. [Added 12 -9 -1992]
165 -30. Signs.
Signs shall be allowed or prohibited according to the following requirements
in order to promote safety, to protect property values, to create an atmosphere
conducive to orderly economic growth and to meet the intentions of this
chapter:
A. Signs prohibited in all districts. The following types of signs shall be
prohibited in all zoning districts:
(1) Animated or flashing signs.
(2) Signs painted directly onto the exterior of buildings.
16546
12 -15 -99
165-30 ZONING 165-30
the separation between the two signs was reduced from the required
50 feet. I
G. Height. No sign shall exceed the maximum height requirement for the
zoning district in which they are located. All signs other than business
signs shall be no more than 10 feet in height. Nod freestanding
business entrance sign shall exceed five feet in height.
H. Size. The following restrictions shall apply to the size of signs:
(1) No business sign or directional sign shall exceed 100 square feet
in area. Standardized, franchised signs may exceed 100 square
feet in area but shall not exceed 150 square feet in area. In the
B1 Neighborhood Business District, no business or directional
sign shall exceed 50 square feet in area.
(2) Cottage occupation signs shall not exceed four square feet in
area.
(3) Wall- mounted business signs in the 82 Business General, the B3
Industrial Transition, M1 Light Industrial,• the M2 Industrial
General or the MS Medical Support Districts shall be permitted to
encompass 20% of the area of the wall to which the sign is
attached, provided that the total area of the wall- mounted
business sign does not exceed 200 square feet. [Amended
9 -12 -2001]
(4) No freestanding building entrance sign shall exceed four square
feet in area.
I. Maintenance. All signs shall be maintained in a state of good repair.
Signs that are damaged, structurally unsound or poorly maintained
shall be repaired or removed within 30 days.
(1) If an off- premises sign advertises a business or activity that is no
longer being operated or conducted or if a directional sign refers
to a location where the advertised activities no longer exist, that
sign shall be considered to be abandoned and shall be removed
by the owner within 30 days.
(2) If the message portion of a sign is removed, the supporting
structural components shall be removed or the message portion
replaced within 30 days.
J. Sign permits. [Amended 6 -9 -1993]
16549
6 10 2003
September 30, 2005
Ms. Tracey Diehl
Holiday Signs
11930 Old Stage Road
Chester, VA 23836
RE: Zoning Determination; B2 (General Business) Zoning District
Property Identification Number (PIN): 75- A -105D
Dear Ms. Diehl:
CO s /'r RICK
.v �I
Department of Planning and r r G' ment
540/665 -5651
FAX: 540/665 -6395
This letter is in response to your correspondence dated September 8, 2005, to the Zoning
Administrator requesting a zoning determination on the above referenced property. In
the correspondence, you indicated that this property is in the general business district. Per
your request, Frederick County Zoning requires that all signs on this property must
adhere to the approved site plan and additional requirements set forth in this letter, via
Frederick County Zoning Ordinance.
The proposed free standing business sign (24' x 15'8 237 sq.ft.) fails to meet
requirements of the Frederick County Zoning O rdinance. Therefore, the proposed signage
would be prohibited by Section 165- 30A(1) and 165- 30H(1) of the Frederick County
Zoning Ordinance (see attached). Section 165- 30A(1) states that animated or flashing
signs shall be prohibited in all zoning districts and Section 165- 30H(1) prohibits
franchised business signs exceeding 150 sq.ft.
You may have the right to appeal this zoning determination within thirty (30) days of the
date of this letter in accordance with Section 15.2 -2311 of the Code ofd Virginia. This
decision shall be final and unappealable if it is not appealed within thirty (30) days.
Should you choose to appeal, the appeal must be filed with the Zoning Administrator and
the Board of Zoning Appeals (BZA) in accordance with Article XXI, Section 165
155A(1) of the Frederick County Zoning Ordinance. This provision requires the
submission of an application form, written statement setting forth the decision being
appealed, date of decision, the grounds for the appeal, how the appellant is an aggrieved
party, any other information you may want to submit and a $250.00 filing fee. Once the
appeal application is accepted, it will be scheduled for public hearing and decision before
the BZA.
107 North Kent Street, Suite 202 Winchester, Virginia 22601 -5000
Page 2
Ms. Tracey Diehl
Re: Zoning Determination; B2 Zoning District
September 30, 2005
Please do not hesitate to contact me regarding any questions you may have at (540) 665-
5651.
Sincerely,
MRC /KTH /d1w
Attachment
7 /J
ark R. Cheran
Zoning Administrator
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APPLICATION FOR APPEAL
IN THE
COUNTY OF FREDERICK, VIRGINIA
MUST BE TYPED OR FILLED OUT IN INK PLEASE PRINT
1. The applicant is the owner other (Check one)
2. APPLICANT: OCCUPANT: (if different)
Ayet&
NAME: 7 /id #fyS &3..3 NAME: COM/
ADDRESS /i 9 3o Ok f 1 (5e
64c //4 d3136
TELEPHONE: TELEPHONE:
3. The property is located at (give exact directions and include State Route numbers):
/yo T,1-keit 4 s4 k&, s &5 174- 22 0&r SL. CO 2Ada_ of s2 c42�
4. Magisterial District: «peg VD/\/
5. 14 -Digit Property Identification No.: 7J 4 or 0
NOV 3 2005
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ADDRESS: y/8 64, 4 uts t-
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6. The existing zoning of the property is:
J- L 13vSe Nth,
7. The existing use of the property is: S7v 2 c.
8. Adjoining Property:
North 2e Side I) AL P
East Reoio(vr.tis -L /1 P
South I/4 C 2P
West 6u s, 8-Z
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10. Describe the basis of the appeal, indicating your reason(s) for disagreeing with the decision.
(This may be provided on separate sheet.)
n..ear/ge_ Fern 044c£co( 092 /h
_USE ZONING
9. Describe the decision being appealed. (Attach a copy of the written decision.)
11. Additional comments, if any:
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12. The following names and addresses are all of the individuals, firms, or corporations owning
property adjacent to the property for which the appeal is being sought, including properties at the sides,
rear, and in front of (across street from) the subject property. (Use additional pages if necessary.)
These people will be notified by mail of this application: (Please list complete 14 -digit property
identification number.)
NAME
WOO
ti
1(vwe), the undersiped, do hereby
Appel MBA) to ovmiuleS adothistrative
deaaibaad herein. n. I agree to comply wits MY
I
authorize tha members af die BZA
site inspection per_
1 hereby certify drat ante stream
imowledge, true.
SIGNATURE OF APPLICANT
SIGNATURE OF OWNER
Of °Batten applicant)
BZA PUBLIC REARING OF
am 10
-01PF10E
DA
ilLj APPEAL OVERRULED
1:j APPEAL SUSTAINED SIG
GRZEMENT
FALaa 6 06
petition the Frederick County Bond of Zeroing
of the Camty Zoning Ordnance as
required by die BZA
Frederick County dad* to go upon the property for
mfmtmtiaa contained herein me, toter best o troy
cease
DATE /0
nsirz
ACTION:
Alit FORD
Planning Office, County of Frederick, Virginia, 107 North Kent Street, Winchester, Virginia 22601
Phone 540 -665 -5651
Facsimile 540-665-6395
Know All Men By These Presents: That I (We)
(Name) JeM V tLC-
2 14e1 I ji;j YiL
i NOV 3 2005
Special Limited Power of Attorney Pi
County of Frederick, Virginia
(Phone) -2 y 8G) l (L
(Address) P- O. 80 )r 3S 3# Ci dtx o',/.e N G a ctjs-
the owner(s) of all those tracts or parcels of land ("Property") conveyed to me (us), by deed recopied in the Clerk's
Office of the Circuit Court of the County of Frederick, Virginia, by
Instrument No. /S 3 7 `f on Page 0 and is described as
Parcel: Lot Block: Section: Subdivision: 6 ace- /q 4 9 ,r A /or
do hereby make, constitute and appoint: /!e c 46 O o
`rs 5o3
(Name) //0 %3 `7 o�c,L,'�� t Con/ (Phone) &o r?Sc- 5yy
no( Pitt- Et* Secs? no'(
(Address) C. Tw (i4 •238 BC C/ /c 62vcx L coo 5
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To as my ruee and lawful attorney -in fact for and in my (our) name, place and stead with fall power and authority
acting personally to file planning applications for my (our) above described Property, including:
G Rezoning (Including proffers)
G Conditional Use Permits
G Master Development Plan (Preliminary and Final)
G Subdivision
G Site Plan
'My attorney -in -fact shall have the authority to offer proffered conditions and to make amendments to previously
approved proffered conditions except as follows:
'This authorization shall expire one year from the day it is signed, or until it is otherwise rescinded or modified.
int'itmess thereof, I (we) have hereto set my (our) hand and seal this 2 l day of t••••_\ ,..r 200 5
G n f) Nt To -wit:
a Notary Public in and for the jurisdiction aforesaid, certify that the person(s) who
signed to the foregoing instrument and who is (are) known to me, personally appeared before me and has
acknowledged the same before me in the jurisdiction aforesaid thisadav of NIO V 200..
My Commission Expires: "ad0
}Jo r- 4hCo "t; a-
State of Virginia, City /County of
Notary Pubh
P 2
CVS/Phary
B
15' -8" UPPER MOLDING
10' -8" EMC
9' -7" UPPER SIGN
LARGE D.F. ILLUMINATED PYLON w/ E.M.C.
SCALE 1/4" I' -0"
tea"oa: Store 07557 Project P34093
NEC State Route 3 Radio Road (SR 1042)
Kilmarnock, Virginia 22482
FILE: 07557 P34093
WEI 08-05-04
DRAWN. PMF
LED
ELECTRONIC
MESSAGE
CENTER
REVISED: 11/09/04 08/02/05 09/27/05
UPPER SIGN
INTERNALLY ILLUM
UL LISTED/LABELED
WHITE L.EXAN FACE
SIGN ZONING RECAP
CVS FREESTANDING SIGN:
PROPOSED SIGN AREA
UPPER SIGN 52.70
EMC SIGN 3733
TOTAL. 90.03 5F
e 1418 Elmhurst Rd.
icon Elk Grove Village
lianas 60007
a.nnry 601.11,b
1..
UOICGl1L s c a m 1111 VcP I P F U I T T L P I I
NOT TO SCALE
CVS/PharmacY
LocAflQM Store 07557 Project P34093
NEC State Route 3 Radlo Road (SR 1042)
Kilmarnock, Virginia 22482
fu L 07557 P34093
DAIS 08 -05 -04
DRAWN: PMf
POISED; 11/09/04 08/02/05 09/27/05
1418 &aunt Rd.
icon l O;
Attachment in support of CVS Sign Application
Frederick County Board of Zoning Appeals
Covering Application Items #9 #11 and related issues
a. Request
Applicant is seeking permission to install a 3'-6" x 10' -8" LED "Electronic Message Center" (EMC) Sign on a new
proposed Freestanding sign at the corner of Warrior Drive and Tasker Road. Applicant is seeking both a Code
interpretation and, in the alternative, a Variance for this section of the sign. This LED unit falls within the broad
category of exterior signs using modern and /or computer controlled technology to display messages; often times
referred to as EMCs (Electronic Message Center).
The relevant Frederick County Zoning Code Section is Section 165 -30 A (1).
b. Interpretation
Applicant requests approval to install the LED EMC Sign as it is permitted by right under the Frederick County Code.
The requested LED EMC unit does not fall within the wording and language contained in Section 165 -30 A (1) for the
following reasons:
1. The wording "animated or flashing" was not intended to apply to EMCs, as this warding was inserted in
Sign Codes across the United States in an earlier era when large Neon spectacular signs were common,
and flashing arrows and moving parts and animations were a part of these signs. This type of wording
continues to be listed in current Zoning Codes as a vestige of an earlier time.
2. The term "animate" is an undefined term in this Code and has no legally enforceable standard attached.
3. The term "flash" is an undefined term in this Code and has no legally enforceable standard attached.
4. LED signs have not been demonstrated to impair the vision of passing motorists, cause traffic accidents,
or create driving complications (see below and attached documents);
5. The LED EMC illumination will be steady in nature;
sign will not flash
sign will not "animate"
Illumination will not change in brilliance, color or intensity
6. The LED EMC message will change periodically; certain LED clusters will activate, and others will switch
off; this change is prompt and seamless; there will be no flashing or movement involved.
7. The national association of Municipal Code Officials, the International Code Council, recognizes EMCs and
permits their use by right in the International Zoning Code (2003) Chapter 10.
c. Variance
In the alternative, Applicant is requesting a Variance from Section 165 -30 A (1), and any other Variances that
maybe requiredto gain approval for this sign.
Pursuant to the current standard for a Dimensional Variance in the Commonwealth of Virginia, Applicant is seeking an
adjustment from the Prohibition provisions of the Frederick County Code to permit the EMC sign.
As a part of its facility Identification, CVS often displays the local Time and Temperature information on its
Freestanding Signs, as a public service, as well as other local public service announcements, in addition to its regular
business related information. CVS cannot display this information using an alternate technology; it must use modern
technology. A Hardship is created if Code Section 165 -30 A (1) is interpreted and applied to the CVS EMC unit.
For instance, a Manual "readerboard" showing Time and Temperature would prevent the Applicant from displaying its
message accurately and /or practically; it would create a comical scenario, with a CVS employee standing by the
Freestanding Sign, changing the manual letters whenever the Time changed or the Temperature fluctuated.
Page 2
Enclosed are four (4) research
a. Traffic Safety Study:
The only way to display Time and Temperature information and certain time specific messages is to use modern
computer controlled technology. Frederick County apparently prohibits this technology.
1. Basis for the Prohibition
The basis for the apparent LED EMC prohibition is unclear from the written Frederick County Code itself.
Possible reasons for the "ban" are (a) Traffic Safety and (b) Aesthetics.
2. EMCs and Traffic Safety
There is no scientific evidence or objective research that shows that EMCs have a negative impact on traffic
safety (traffic safety being used as a general term to describe a variety of driving related processes). The
Applicant is not aware of any scientific research studies or empirical evidence that demonstrates that
EMCs create or contribute to the occurrence of traffic accidents, unsafe traffic conditions or driver behavior, or
have a negative impact on traffic safety. If the County has any objective research that shows that EMCs
cause accidents, the Applicant would like the opportunity to review this information.
b. EMC Research Review:
c. EDMA:
d. Information Load:
publications that have a bearing on this Application:
In Part II of this study, when an EMC was installed at a major
intersection in Pennsylvania, the accident rate at the intersection declined;
no current studies say that EMCs are unsafe or cause accidents
EMC manufacturers have suggestions on EMC usage
Information on On Premises signs does not cause Drivers to have accidents
In regard to the common usage of EMC signs, please note the following:
Many Jurisdictions in the Commonwealth of Virginia allow EMC signs;
All State DOTs in the United States use EMCs on their highways for announcements and alerts;
the Federal Highway Administration (FHWA) has recommendations for EMCs, and does not advocate
their prohibition;
EMC manufacturers themselves have suggested standards for EMCs that Frederick County could implement;
No research indicates that EMCs have traffic safety issues;
3. EMCs and Aesthetics
It is likely that a complete prohibition of a form of lawful Commercial Speech and specific technology cannot
be supported on the basis of subjective taste or opinion in regard to sign appearance. This ban on a
technology, if permitted, based solely on aesthetics, could potentially put an entire manufacturing industry
out of business, based on personal aesthetic tastes. If Frederick County can maintain a prohibition, then all
jurisdictions can implement such a prohibition, in addition to converting existing EMCs in other jurisdictions
into non conforming signs, and placing a manufacturing industry in peril.
d. EMCs and First Amendment
Every time a local municipality controls or restricts On Premises signs, it has implications under the First Amendment
to the US Constitution. On Premises signs are a form of Commercial Speech. The US Supreme Court has indicated
that Commercial Speech has protection under the First Amendment, and although this protection is not as broad as
personal or private speech, it has expanded protection nonetheless.
The Frederick County Code Section in question is an example of a "content neutral" Time, Place, and Manner
regulation of On Premises Commercial Speech. The Applicant will suggest that this regulation fails the test set forth
by the US Supreme Court when examining content neutral regulations of Commercial Speech (Central Hudson Gas
Electric Corp v Public Serv, Commission, 447 US 557 (1980) and related cases). The reasons for this suggestion are:
1. The CVS EMC display constitutes an exercise of "lawful" speech; there is no suggestion otherwise;
2. Although Frederick County has a substantial governmental interest in regulating commercial speech (i.e.
Page 3
On Premises signs in general), it cannot assert a substantial governmental interest in regulating EMCs as it
has been demonstrated that this technology has no traffic safety implications.
3. The regulation may advance the asserted governmental interest, if one is found;
4. However, the regulation is far more extensive than is necessary to serve that interest; Frederick County
has instituted a complete ban of EMCs technology and the information that uses this technology.
Restrictions on EMC signs, but not an outright ban, could address whatever local concerns may exist but
also permit the display of the lawful Commercial Speech.
REGULATION OF ELECTRONIC MESSAGE
DISPLAY SIGNS
Overview
We are all very fortunate to live in a society that places a premium value on
freedoms, and limits governmental intrusion upon those freedoms. Freedom of
speech is one of those essential freedoms, and one that is embod within the
Constitution that molds the rule of law governing this great nation. Many
reputable organizations, like the U.S. Small Business Administration and the
International Sign Association caution against sign regulations that interfere with
the freedom of exercising commercial speech.
The following information has been assembled by a coalition of manufacturers of
electronic message display signs. We recognize the uncertainty surrounding the
legality of certain sign regulations. We also respect the desire by communities to
regulate signs, including electronic message display signs, and the need for
responsible sign codes. Without engaging in debate over the legality of
regulations affecting electronic message displays, the following materials are
intended to develop a more sophisticated understanding of the current state of the
technology, and to promote regulations that reflect the broad variations in the use
of electronic message displays.
The History of Changeable Message Signs
In the day when signs were primarily painted, changing messages on a sign
merely required painting over the existing message. More recently, signs with
removable lettering made it possible to manually change the lettering on a sign to
display a new message. Electrical changeable message signs followed the
invention of the light bulb, and included light bulbs arranged in a pattern where,
by lighting some light bulbs and not the others, letters and numerals could be
spelled out.
With the advent of solid -state circuitry in the early 1970s, electronic changeable
message signs became possible. The first of these products were time and
temperature displays and simple text message displays using incandescent lamps.
These lamps were very inefficient. They used a great deal of power and had short
life expectancies.
During the energy crunch of the 1980s, it became necessary to find ways to
reduce the power consumption of these displays. This need initially spawned a
reflective technology. This technology typically consisted of a light- reflective
material applied to a mechanical device, sometimes referred to as "flip disk"
1
displays. Electrical impulses were applied to a grid of disks with reflective material
on one side of the disk, and a contrasting finish on the other side. The electrical
impulses would position each disk within the grid to either reveal or conceal the
reflective portion of the device as required, to produce an image or spell out a
message. These technologies were energy efficient, but due to the mechanical
nature of the product, failures were an issue.
Shortly after the introduction of the reflective products, new incandescent lamps
emerged. The new "wedge base" Xenon gas filled lamps featured many positive
qualities. Compared to the larger incandescent lamps that had been used for
several years, the wedge base lamps were very bright, required less power to
operate and had much longer lifetimes. These smaller lamps allowed electronic
display manufacturers to build displays that featured tighter resolutions, allowing
users to create more ornate graphic images.
Next in the evolution of the changeable message sign was the LED. LED (light
emitting diode) technology had been used for changeable message displays since
the mid 1970s. Originally, LEDs were available in three colors: red, green and
amber, but were typically used for indoor systems because the light intensity was
insufficient for outdoor applications and the durability of the diodes suffered in the
changing temperatures and weather conditions. As technology improved,
manufacturers were able to produce displays that had the intensity and long life
required for outdoor use, but were limited in the viewing angle from which they
could be effectively seen.
Recently, breakthroughs in this field have made available high intensity LEDs in
red, green, blue and amber. These LEDs have made it possible to produce
displays bright enough for outdoor use with viewing angles that are equal to, or
better than, other technologies currently available. They are energy efficient, can
be programmed and operated remotely, and require little maintenance. In
addition, the computer software has evolved such that a broad range of visual
effects can be used to display messages and images. The spacing of the LEDs can
be manipulated to achieve near television resolution. Earlier "flip disk" and
incandescent technologies have become nearly obsolete as a result.
Types of Changeable Message Signs
Changeable message signs can be placed into two basic categories: manually
changed and electronically- changed. The most common form of manually
changed sign involves a background surface with horizontal channels. Letters and
numerals are printed on individual plastic cards that are manually fitted into the
channels on the sign face. A broad range of letter styles and colors are available.
The manually- changed sign is relatively inexpensive and is somewhat versatile.
Some discoloration has been experienced in the background surface materials
2
with exposure to weather and the sun. Changing the message on such a sign is
accomplished by having an employee or technician remove the existing plastic
letter cards and replacing them with cards displaying the new message.
Occasionally, such signs have been the subjects of vandals who steal the letters or,
as a prank, re- arrange them to spell out undesirable messages. Over time, as
letters are replaced with lettering styles that deviate in color or type style from the
original set, such signs have had a tendency to take on a mix- and -match
appearance.
Electronic changeable message signs are generally of two types: ight emitting
and light reflective. Current light emitting display technologies include LED and
incandescent lamp. Light reflective displays typically consist of either a reflective
material affixed to a mechanical device (like a "flip disk or a substance
commonly referred to as electronic ink.
Many of the above mentioned technologies have the capabilities to display
monochromatic (single color) or multiple color images. Monochrome changeable
message signs are typically used to display text messages. Multiple color displays
are more common in applications where color logos or video is displayed.
Operational Capabilities of Electronic Signs
Electronic signs have evolved to the point of being capable of a broad range of
operational capabilities. They are controlled via electronic communication. Text
and graphic information is created on a computer using a software program. This
software is typically a proprietary component that is supplied by the display
manufacturer. These software programs determine the capabilities of the displays.
The software is then loaded onto a computer that operates the sign. The
computer may be installed within the sign itself, operated remotely from a nearby
building, or even more remotely by a computer located miles away and connected
to the sign with a telephone line modem or other remote communication
technology.
Since most of the software programs are proprietary, one can assume that each
software program is slightly different. However, the capabilities that the programs
offer are all very similar. Changeable message sign manufacturers provide
software that allows the end user to be as creative or as reserved as they like. The
sign can be used to display static messages only, static messages changed by a
computer generated transition from one message to the next, moving text,
animated graphics and, in some applications, television quality video.
Text messages or graphic images can simply appear and disappear from the
display or they can be displayed using creative entry and exit effects and
transitions.
3
Example:
Oftentimes a display operator will choose to have a text message scroll onto the
display and then "wipe -off" as if the frame has been turned like the page of a
book.
If a display has the capabilities to display graphics, logos or even video, it is
common for the display operator to add motion to these images.
Example:
A display operator at a school may wish to create an animation where their
school's mascot charges across a football field and runs over the competing
school's mascot.
Video capable displays can operate much like a television. These displays can
show live video, recorded video, graphics, logos, animations and text.
All display capabilities are securely in the hands of the display operators. They are
ultimately responsible for what type of, and how, information is displayed on their
changeable message sign.
Traffic Safety Considerations
Electronic message displays (EMDs) are capable of a broad variation of
operations, from fully- static to fully- animated. In exterior sign use, they are often
placed where they are visible to oncoming traffic. Concerns are often raised as
communities change their sign codes to expressly permit such signage about the
traffic safety implications for signage with moving messages. These concerns are
largely unfounded.
EMDs have been in operation for many years. As is typical with many
technological advances, the regulatory environment has been slow to respond to
advances in the technology itself. In 1978, after many years of the use of
electronic signs, Congress first passed legislation dealing with the use of
illuminated variable message signs along the interstate and federal aid primary
highway system. The Surface Transportation Assistance Act permitted electronic
message display signs, subject to state law, provided each message remained
fixed on the display surface but "which may be changed at reasonable intervals by
electronic process or remote control," and did not include "any flashing,
intermittent or moving light or lights." 23 U.S.C. 131.
In 1980, and in response to safety concerns over EMDs along highways, the
Federal Highway Administration published a report titled "Safety and
Environmental Design Considerations in the Use of Commercial Electronic Variable-
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Message Signs." This report was an exhaustive analysis of the safety implications
of EMDs used along highways. The report highlights the inconclusive nature of
safety studies that had occurred to that time, some concluding that roadside signs
posed a traffic distraction, and others concluding that roadside signs do not cause
traffic accidents. In view of the inevitable use of the technology in signage, the
report made some sensible observations about traffic safety considerations for
such signs:
1. Longitudinal location. The report recommended that spading standards
be adopted to avoid overloading the driver's information processing
capability. Unlike the standard for sign regulations i 1980, most
communities today have spacing standards already integrated into their
sign codes.
2. Lateral location. Often referred to as "setback," the report initially
recommended the common sense requirement that such signs be
placed where the risk of colliding into the sign is eliminated. This was a
legitimate concern, as such signs were being contemplated for use by
highway departments themselves in the right -of -way. Private use of
roadside signs is generally limited to locations outside the right -of -way,
so this should not be a significant concern. The next issue addressed by
the report was visibility. The report advocated the minimum setback
feasible, stating that "standards for lateral location should reduce the
time that drivers' attention is diverted from road and traffic conditions.
Generally this suggests that signs should be located and angled so as to
reduce the need for a driver to turn his head to read them as he
approaches and passes them." This can best be handled by permitting
such signs to be located at the property line, with no setback, and
angled for view by oncoming traffic.
3. Operations: Duration of message on -time. The report states that the
duration of the message on -time should be related to the length of the
message, or in the case of messages displayed sequentially, the
message element. For instance, based on state highway agency
experience, "comprehension of a message displayed on a panel of
three lines having a maximum of 20 characters per line is best when the
on -time is 15 seconds. In contrast, the customary practice of signing
which merely displays time and temperature is to have shorter on -times
of 3 to 4 seconds." Since this 1980 report, state highway agencies have
adopted, for use on their own signs, informal standards of considerably
shorter "on" time duration, with no apparent adverse effects on traffic
safety. Federal legislation affecting billboard use of electronic signs
5
requires only that messages be changed at "reasonable intervals.
Moreover, the U.S. Small Business Administration, in a report on its
website reviewing safety information compiled since the 1980 report,
has concluded that there is no adverse safety impact from the use of
EMD signs. See ht tp:// www. sba. gov/ starting /signacie /safelecial.html.
The most recent study was performed in 2003 by Tantala Consulting
Engineers, available through the U.S. Sign Council at
http:// www.ussc.org /publications.html, also concluding based on field
studies that EMD signs do not adversely affect traffic safety. Many small
businesses using one -line EMD displays are only capable of displaying
a few characters at one time on the display, changing frequently, which
takes virtually no time for a driver to absorb in short glances. These
signs have likewise not proven to be a safety concern, despite many
years of use.
4. Operations: Total information cycle. EMD signs can be used to display
stand -alone messages, or messages that are broken into segments
displayed sequentially to form a complete message. As to the
sequential messages, the report recommended a minimum on -time for
each message "calculated such that a motorist traveling the affected
road at the 85' percentile speed would be able to read not more than
one complete nor two partial messages in the time required to
approach and pass the sign."
5. Operations: Duration of message change interval and off -time. The
report defines the message change interval as the portion of the
complete information cycle commencing when message "one" falls
below the threshold of legibility and ending when message "two" in a
sequence first reaches the threshold of legibility. This is relevant when
operations such as "fade off -fade on" are used, when the first message
dissolves into the second message, or when the two messages move
horizontally (traveling) or vertically (scrolling) to replace the first
message with the second. Off -time, on the other hand, is a message
change operation that involves the straightforward turning off of the first
message, with a period of blank screen, before the second message is
instantly turned on.
The appropriate interval of message change may be affected by a variety of factors, and one standard does
not fit all situations. Imagine, for instance, a bridge that serves two roadways, one with a speed limit of 30
mph and the other a highway with a speed limit of 60 mph. In a situation where the bridge is socked in by
fog, an electronic sign on the approach to the bridge may be used to convey the message, "Fog ahead...on
bridge...reduce speed...to 15 mph." The driver on each roadway needs to see all the segments to the full
message. The rate of changing each segment of the message needs to be different for each roadway. If the
change rate were based only on the 60 mph speed, the sign on the slower roadway may appear too active.
If the change rate were based only on the 30 mph speed, the result could be fatal to drivers on the highway.
6
The report takes an extremely conservative approach as to message change
interval, advising against the use of operations other than nearly instantaneous
message changes. If such operations are permitted, the report suggests "that
the figure commonly used as a measure of average glance duration, 0.3
second, be used here as a maximum permissible message change time limit."
The report further advocates minimizing off -time between messages, where
static message changes are used, stating that "Ms this interval of off -time is
lengthened, the difficulty of maintaining the continuity of attention and
comprehension is increased."
The conservative nature of the authors' position is reflected both in the report,
and in over twenty years of practice since the report was issued. The report
cites studies indicating that, in some situations, the use of electronic operations
had a beneficial effect on traffic safety, by creating a more visually stimulating
environment along an otherwise mind numbing segment of highway, helping
to re -focus and sharpen the driver's attention to his or her surroundings.
In over twenty years of experience, with numerous electronic signs nationwide
utilizing the various operational capabilities for message change, there has
been no significant degradation to highway safety reported. Many electronic
signs used by highway departments now use a mode of transition between
messages or message segments, such as traveling or scrolling. Drivers are
apparently capable of attaching primacy to the visual information most critical
to the driving task, with sign messages taking a secondary role.
The report further expresses its limited focus upon interstate and federal aid
primary highways. Noting the stimulating visual environment created by full
animation signage in places like Times Square, Las Vegas and Toronto's Eaton
Centre, the authors of the report agreed that such signs added vitality and
dimension to the urban core, but discouraged the use of animation alongside
the highway. The report did not deal with the use of such signs, or their
operational characteristics, on roadways between the extremes of;the interstate
highway and the urban core. In addition, animation has now been used on
highway- oriented signs in many locations for years, with no reported adverse
effect of traffic safety.
In sum, the report acknowledged the appropriateness of full- animation
electronic signs within the urban core, but recommended that full animation
not be used along interstate and primary highways. It took a conservative
position on operations of such signs along highways, advocating static
message change sequences only, with no more than 0.3 seconds of message
change interval or "off- time" between messages. The message changes on
sequential segmented messages should be displayed such that a motorist can
see and read the entire chain of message segments in a single pass.
Messages should be permitted to change at "reasonable intervals." Such signs
change interval or "off -time" between messages. The message changes on
sequential segmented messages should be displayed such that a motorist can
see and read the entire chain of message segments in a single pass.
Messages should be permitted to change at reasonable intervals." Such signs
should have adequate spacing between signs, but be set back from the right
of -way as little as feasible.
Since 1980, no new information has become available supporting a traffic
safety concern about EMDs. They have been installed in highway locations,
along city streets and in urban core settings, using all forms of operations:
static, sequential messaging and full animation. Despite such widespread use,
and the presence of environmental organizations generally adverse to sign
displays, no credible studies have established a correlation between EMDs and
a degradation in traffic safety.
An article in the Journal of Public Policy and Marketing in Spring, 1997, arrived
at the some conclusion. Professor Taylor, of Villanova University, analyzing
this lack of data to support such a correlation, concluded that "there appears
to be no reason to believe that changeable message signs represent a safety
hazard."
From a safety standpoint, and based on the studies and practical experience
that has been accumulated since the widespread use of EMDs, some
conclusions can be reached:
In an urban core setting, where a sense of visual vitality and excitement is
desirable, full- animation EMDs have been shown to be viable without
degrading traffic safety.
In an urban setting, such as along arterial streets, EMDs have been used
with static messages changed by use of transitions such as traveling,
scrolling, fading and dissolving, without any apparent impact on traffic
safety. Quite likely, this can be attributed to the primacy of the navigation
task, and the secondary nature of roadside signage.
Along interstate and other limited access highways, the only significant
traffic safety analysis recommends the use of static messages only, and the
federal government permits message changes at reasonable intervals."
Many highway departments change messages on their own signs every 1 -2
seconds. The report further recommends that sequential messages be
timed to ensure that the entire sequence of messages be displayed in the
time it takes a car to travel from initial legibility to beyond the sign. In
practice, and in the 20+ years since publication of this report, the
operational characteristics of such signs have been expanded to include
8
fading, dissolving, scrolling and traveling, without any apparent adverse
effect on traffic safety.
Regulation of Electronic Signs
The history of the regulation of electronic signs has been largely marked by polar
extremes in regulation. A number of zoning and sign codes have treated such
signs as any other sign, with no special regulations. Others have attempted to
prohibit their use in the entirety, largely out of concerns for traffic safety, and in
some cases in the stated interest of aesthetics.
For the reasons stated above, the traffic safety concerns have been largely
unfounded. In decades of use and intense scrutiny, no definitive relationship
between electronic signs and traffic accidents has been established. In fact, some
studies have suggested that animated electronic signs may help keep the driver
whose mind has begun to wander re- focused on the visual environment in and
around the roadway. No studies support the notion that an electronic sign with a
static display has a visual impact, from either a traffic safety or aesthetic impact,
different from that of any other illuminated sign.
Despite this, the fear of negative impact from potentially distracting signs has in
the past motivated some communities to attempt to prohibit electronic signs
altogether. Two common approaches have been to prohibit sign "animation" and
the "intermittent illumination" of electronic signs. Both approaches have had their
limitations.
Electronic signs that are computer- controlled often have the capability to be
displayed with a multitude of operational characteristics, many of which fall within
the typical definition of "animation." However, static display techniques are quite
commonplace with electronic signs, and the cost of using electronics in relatively
typical sign applications has become more affordable. The programming of an
electronic sign to utilize static displays only is simple and straightforward, yet
probably overkill in the legal and practical sense.
Nonetheless, out of fear that the programming may be changed to animation
after a sign is permitted and operational, some local regulators have attempted to
take the position that LED and other electronic signs are prohibited altogether.
This position is unsound. There is no legal basis to deny a static display electronic
sign, as it is legally indistinguishable from any other illuminated sign. We don't
prohibit car usage merely because the cars are designed so that they can exceed
the speed limit; we issue a ticket to the driver if they do exceed the speed limit.
Likewise, if a sign owner actually violates the zoning or sign code, the remedy is to
cite them for the violation, not to presume that they will do so and refuse to issue
9
permits at the outset. Moreover, most communities permit changing messages on
signs displaying time and temperature, with no restrictions on timing. To apply a
different standard to signs displaying commercial or noncommercial messages
would be to regulate on the basis of the content of the sign, in violation of the First
Amendment to the U.S. Constitution.
The code technique of prohibiting "intermittent illumination has its own limitations
as it relates to electronic signs. The term "intermittent" suggests that the sign is
illuminated at some times, and not illuminated at others. This is no basis to
distinguish between an electronic sign and any other illuminated sign. Virtually all
illuminated signs go through a cycle of illumination and non illumination, as the
sign is turned off during the day when illumination is not needed, or during the
evening after business hours. If this were the standard, most sign owners would
be guilty of a code violation on a daily basis.
Other terminology may be used in sign codes, but the fact is that a regulation
must be tailored to the evil it is designed to prevent. Community attitudes toward
viewing digital images have changed nationwide, with personal computer use and
exposure to electronic signs becoming widespread. People are simply accustomed
to the exposure to such displays, more so than in years past. In some
communities, there remains a concern about the potential that such signs may
appear distracting, from a safety or aesthetic standpoint. Yet, static displays do
not have this character, and even EMDs with moving text have not proven to have
any negative impact. The real focus should be on the operations used for the
change in message, and frame effects that accompany the message display.
Many of these transition operations and frame effects are quite subtle, or
otherwise acceptable from a community standpoint. It is now possible to define
these operations, in the code itself, with sufficient specificity to be able to enforce
the differences between what is acceptable and what is not.
The critical regulatory factors in the display of electronic changeable message
signs are: 1) Duration of message display, 2) Message transition, and 3) Frame
effects. With the exception of those locations where full animation is acceptable,
the safety studies indicate that messages should be permitted to change at
"reasonable intervals." Government users of signs have utilized 1 -2 seconds on
their own signs as a reasonable interval for message changes, and other
communities permit very short display times or continuous scrolling on business
signs without adverse effect. As a policy matter, some communities have elected
to adopt longer duration periods, although to do so limits the potential benefits of
using an electronic sign, particularly where messages are broken down into
segments displayed sequentially on the sign.
The message transitions and frame effects are probably the greater focus, from a
sign code standpoint. It is during the message transition or frame effect that the
eye is most likely drawn to the sign. What is acceptable is a matter of community
10
attitude. Flashing is a frame effect that is prohibited in many communities, but
other more subtle transitions can be accepted. It is relatively easy to define four
basic levels of operational modes for message transitions that con be incorporated
into a sign code:
Level 1 Static Display Only (messages changed with no transition)
Level 2 Static Display with "Fade" or "Dissolve" transitions, or similar
subtle transitions and frame effects that do n ot have the
appearance of moving text or images
Level 3 Static Display with "Travel" or "Scrolling" transitions, or
similar transitions and frame effects that have text or
animated images that appear to move or change in size, or be
revealed sequentially rather than all at once
Level 4 Full Animation, Flashing and Video
There are, in fact, other operations recognized within the industry.
practice they can be equated in visual impact with "fade," "dissolve
"scrolling," based on their visual effect, or otherwise be considered ful
However, in
"travel" or
animation.
Different transition operations may be acceptable in different locations. For
example, communities like Las Vegas accept full animation as a community
standard, whereas others accept full animation only in urban core locations where
a sense of visual vitality and excitement is desirable. Some communities may
desire not to have an area with such visual stimuli, and elect to prohibit animation
everywhere. However, in such a community, fade or scrolling may be acceptable
forms of message transitions for static displays. In the most conservative
communities, static displays with no observable transition between messages may
be the only acceptable course.
The next decision point for a community seeking to regulate electronic signs is
procedural. Some signs may be acceptable always, while the community may
determine that others are acceptable only in certain given circumstances.
Alternatives to be considered for a sign code are as follows:
Permit electronic signs "as a matter of right"
Permit electronic signs with certain transitions "as a matter of right"
Permit electronic signs, subject to a review procedure
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Model Sign Code Provisions for Electronic Signs
Level 1- Static Display (Message Changed with no Transition)
Definitions
ELECTRONIC MESSAGE DISPLAY A sign capable of displaying words, symbols,
figures or images that can be electronically or mechanically changed by remote or
automatic means.
Electronic Message Displays may be permitted [with the approval of a use
permit] [in the zoning districts] subject to the following
requirements:
a. Operational Limitations. Such displays shall contain static messages
only, and shall not have movement, or the appearance or optical
illusion of movement, of any part of the sign structure design, or
pictorial segment of the sign, including the movement or appearance of
movement of any illumination or the flashing, scintillating or varying of
light intensity.
b. Minimum Display Time. Each message on the sign must be displayed
for a minimum of (insert reasonable interval) seconds.
c. Message Change Sequence. [Alternative 1: The change of messages
must be accomplished immediately.] [Alternative 2: A minimum of 0.3
seconds of time with no message displayed shall be provided between
each message displayed on the sign.]
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Permit electronic signs, with certain transitions, subject to a review
procedure
A hybrid of the above
For instance, one community may find it acceptable to permit electronic signs, with
full animation, as a matter of right. Other than a straightforward sign permit, no
other review is required. In another community, the sign code structure may
permit: 1) Static displays with no transitions as a matter of right, 2) static displays
using fade or dissolve transitions as a matter of right in certain commercial zoning
districts, 3) static displays using travel and scrolling transitions and animations in
certain commercial districts, subject to approval of a special use permit, where the
approving board can consider compatibility with surrounding land uses and attach
conditions on the rate of message changes, and 4) Fully- animated /video displays
in the downtown commercial district only, subject to approval of a special use
permit. The level of procedure involved should be tailored to the acceptance level
of the community, and the resources available should public review be desired.
In the following section, we have provided model code language that can be
used, for reference, to incorporate into a community's sign code. The model
language suggests code scenarios based on each of the four levels of display
transitions. It also provides alternative language, for some scenarios, to either
incorporate a special review procedure or not. Of course, the model language
must be tailored to a particular community's sign code. Variation may be
necessary, where, for instance, the special review procedure would be by the local
planning commission, city council or design review board. With ease, the model
code language can be modified to meet local conditions.
2004 Electronic Display Manufacturers Association
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Model Electronic Sign Code Provisions
Level 2- Static Display (Fade /Dissolve Transitions)
Definitions
ELECTRONIC MESSAGE DISPLAY A sign capable of displaying words, symbols,
figures or images that can be electronically or mechanically changed by remote or
automatic means.
DISSOLVE a mode of message transition on an Electronic Message Display
accomplished by varying the light intensity or pattern, where the first message
gradually appears to dissipate and lose legibility simultaneously with the gradual
appearance and legibility of the second message.
FADE a mode of message transition on an Electronic Message Display
accomplished by varying the light intensity, where the first message gradually
reduces intensity to the point of not being legible and the subsequent message
gradually increases intensity to the point of legibility.
FRAME a complete, static display screen on an Electronic Message Display.
FRAME EFFECT a visual effect on an Electronic Message Display applied to a
single frame to attract the attention of viewers.
TRANSITION a visual effect used on an Electronic Message Display to change
from one message to another.
Electronic Message Displays may be permitted [with the approval of a use
permit] [in the zoning districts] subject to the following
requirements:
a. Operational Limitations. Such displays shall contain static messages
only, changed only through dissolve or fade transitions, or with the use
of other subtle transitions and frame effects that do not have the
appearance of moving text or images, but which may otherwise not
have movement, or the appearance or optical illusion of movement, of
any part of the sign structure, design, or pictorial segment of the sign,
including the movement of any illumination or the flashing, scintillating
or varying of light intensity.
b. Minimum Display Time. Each message on the sign must be displayed
for a minimum of (insert reasonable interval) seconds.
14
Model Electronic Sign Code Provisions
Level 3- Static Display (Travel /Scroll Transitions and Animations)
Definitions
ELECTRONIC MESSAGE DISPLAY A sign capable of displaying words, symbols,
figures or images that can be electronically or mechanically changed by remote or
automatic means.
DISSOLVE a mode of message transition on an Electronic Message Display
accomplished by varying the light intensity or pattern, where the first message
gradually appears to dissipate and lose legibility simultaneously with the gradual
appearance and legibility of the second message.
FADE a mode of message transition on an Electronic Message Display
accomplished by varying the light intensity, where the first message gradually
reduces intensity to the point of not being legible and the subsequent message
gradually increases intensity to the point of legibility.
FRAME a complete, static display screen on an Electronic Message Display.
FRAME EFFECT a visual effect on an Electronic Message Display applied to a
single frame to attract the attention of viewers.
SCROLL a mode of message transition on an Electronic Message Display where
the message appears to move vertically across the display surface.
TRANSITION a visual effect used on an Electronic Message Display to change
from one message to another.
TRAVEL a mode of message transition on an Electronic Message Display where
the message appears to move horizontally across the display surface.
Electronic Message Displays may be permitted [with the approval of a use
permit] [in the zoning districts] subject to the following
requirements:
a. Operational Limitations. Such displays shall be limited to static displays,
messages that appear or disappear from the display through dissolve,
fade, travel or scroll modes, or similar transitions and frame !effects that
have text, animated graphics or images that appear to move or change
in size, or be revealed sequentially rather than all at once.
b. Minimum Display Time. Each message on the sign must be displayed
for a minimum of (insert reasonable interval) seconds.
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Model Electronic Sign Code Provisions
Level 4- Video /Animation
Definitions
ELECTRONIC MESSAGE DISPLAY A sign capable of displaying words, symbols,
figures or images that can be electronically or mechanically changed by remote or
automatic means, including animated graphics and video.
Electronic Message Displays may be permitted [with the approval of a
use permit] [in the zoning districts]
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