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Reopening Massachusetts: 6 Key Considerations for Retail Cannabis Operators

May 26, 2020

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On May 18th, Massachusetts Governor Charlie Baker announced the Commonwealth’s four-phase roadmap (the “Plan”) to reopening business operations in the Commonwealth. Order Implementing a Phased Reopening of Workplaces and Imposing Workplace Safety Measures to Address COVID-19, a.k.a. Covid-19 Order No. 33 (the “Reopening Order”).

Pursuant to Governor Baker’s previous Order No. 13, Assuring Continued Operations of Essential Services in the Commonwealth, Closing Certain Workplaces, and Prohibiting Gatherings of More than 10 People, issued on March 23, 2020, (Essential Services Order), and amended on April 28, 2020 and May 15, 2020 (Extended Essential Services Order), adult-use cannabis dispensaries had been shut down since March 24th, after being deemed as “non-essential businesses,” while manufacturers, cultivators and medical cannabis dispensaries in the Commonwealth were classified as “essential” and permitted to continue operations subject to certain COVID-19 protocols.

Now under Phase 1 of the Plan, retail adult-use operators, including dispensaries, are permitted to reopen beginning on May 25th for “curbside pickup and delivery only” while “browsing inside the store with restrictions” is forecasted to be permitted under Phase 2 of the Plan.

For more information on the return of adult-use cannabis in Massachusetts, click here.


About the Author: Lauren Medeiros Forster

Lauren Medeiros Forster is an associate in the firm’s Corporate department. Her practice focuses on commercial contracts, mergers & acquisitions, finance, securities, lending, and private equity matters. Lauren applies her skillset in these various practice areas to assist clients in a wide range of industries including cannabis, banking, information technology, life sciences, distribution, and transportation. She has represented clients on both the buy and sell side of complex corporate transactions such as capital raises, equity and debt financing, stock purchases, and asset sales. Lauren has also assisted in providing guidance to private and public companies on matters relating to corporate governance, equity compensation, and securities law compliance and disclosure. She can be reached at lforster@burnslev.com or 617.345.3389.