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Long-Term Solutions to Short-Term Rentals <br /> <br />2024-2025 Orange County Grand Jury Page 13 <br /> <br />At least one city (Orange) requires that TOT reporting include the number of days the STR is <br />available for rent and number of days rented each month. Capturing these statistics facilitates <br />desk auditing. <br />A “desk audit” is a remote review of the STR operators’ reported information to ensure <br />compliance with TOT reporting requirements. This is in contrast to a “business-level audit,” <br />which is performed by the city on site and involves verification of the reported information <br />against third-party records, such as bank statements. <br />The Grand Jury’s review of a subset of Orange County cities did not identify any that did more <br />than desk audits on short-term rental TOT receipts. Put simply, these cities currently rely on the <br />“honor system.” Conducting business-level audits would allow cities to discover and collect <br />additional funds. However, a city should consider the cost of enforcement versus the financial <br />benefit of STR business audits, especially in smaller cities with limited short-term rental TOT. <br />Major Events Fuel Demand for STRs <br />Reports from the 2024 Olympic games indicate that the average price per night of STRs in and <br />around Paris more than doubled during the Olympics, and total inventory grew by nearly fifty <br />percent. With the coming 2026 Los Angeles World Cup and the 2028 Los Angeles Olympics, <br />these surges are likely to be seen in Orange County, especially with the Honda Center and <br />Trestles Beach—both in Orange County—being used as Olympic venues. Orange County cities <br />have not yet dedicated resources to plan around STRs for these major events. <br />STR Impact on Affordable Housing <br />Some housing advocates argue that STRs reduce the inventory of much needed and mandated <br />affordable housing. The Grand Jury found that STRs have a negligible effect on affordable <br />housing in cities that currently allow STRs. The Southern California Association of <br />Governments, acting under the direction of the State Housing Element Law, sets a mandated <br />volume of new units by city for Very Low Income (VLI) and Low Income (LI) units, and this <br />analysis uses it as the estimate of needed affordable units. <br />The Grand Jury’s analysis of inland cites suggests that if their existing STR units were converted <br />to affordable housing, they would contribute at most about eight percent (125/1,671 from Table <br />4) of the affordable units required (in the city of Orange), and a much smaller percentage in other <br />inland cities. <br />On the other hand, in coastal cities, the STR volumes appear to meet a sizable portion of <br />affordable unit goals. However, coastal cities must comply with State law enforced through the <br />California Coastal Commission (CCC). The CCC weighs in on all coastal development and <br />changes, and any modification of a city’s zoning rules or limits on STRs would be subject to the <br />CCC’s approval. The CCC’s stated goal is to preserve access to public beaches and low-cost <br />  <br />  <br />City Council 10 – 15 8/5/2025