STATE OF COLORADO
July 12, 2011
Michelle L. LaMay
1265 Downing St., Suite 408 Denver, CO 80218
Re: Division of Private Occupational Schools
Dear Ms. LaMay,
This letter serves as authorization of exemption from the Division of Private Occupational Schools (“Division”) concerning Cannabis University, Inc., and state regulation thereof by the Division as set forth in the provisions of Title 12, Article 59 of the Colorado Revised Statutes.
This is to advise you that the documentation submitted in support of
exempt status reasonably demonstrates that Cannabis University, Inc.,
www.cannabisuniversityinc.com and HYPERLINK
www.cannabisuniversitycolorado.com and its course offerings appear to
be of the exempt nature contemplated under §§ 12-59-104(1)(c), C.R.S.:
(1) The following educational institutions and educational services are exempt from the provisions of this article:
(c) A school offering education solely avocational, supplementary, or ancillary in nature;
It is determination of the Division that Cannabis University, Inc., is currently not subject to jurisdiction of the Division and Private Occupational Educational Act and is operating in good faith pursuant to the above-stated statutory exemptions that its course offerings are avocational and not designed to be occupational or vocational in nature.
Please notify the Division should your school’s exemption status cited above changes.
Thank you for your cooperation and understanding during this matter.
Very Truly Yours,
Jim Parker, Director
1560 Broadway, Suite 1600, Denver, Colorado 80202 • (303) 866-2723 • FAX (303) 866-4237