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Proximity to Local Residents: There are more than 140 properties within two miles of the proposed <br />quarry site, some as close as 1200 feet and with direct line -of -sight to the quarry operations. The vast <br />majority, if not all, of these property owners are vehemently opposed to the applicant's quarry plans. <br />The policies incorporated in the El Paso County Southwestern Highway 115 Comprehensive <br />Plan (see below) state "any resource extraction operation should be located a minimum of two <br />miles distant from any dissenting residents". <br />Comprehensive Development Plan: This application for permit is in clear violation of the current <br />Southwestern (Highway 115) Comprehensive Plan. This is a plan commissioned and adopted by the <br />El Paso County Board of County Commissioners for the Highway 115 area. This comprehensive <br />plan foresaw the potential for future demands for mineral resource extraction in the area, and <br />adopted specific policies to address it. The Hitch Rack Ranch Quarry application is in specific <br />violation of the following policies in this plan: <br />I. The entire burden of proof for demonstrating the existence of extractable <br />mineral resources should lie with the applicant. Designation of potentially extractable <br />mineral resources in the Master Plan for the Extraction of Commercial Mineral Deposits <br />should in no way be seen as a justification or an implied right for mining. <br />2. Resource extraction operations in general are not supported in the planning <br />area. However, the presence of existing operations is recognized, and if future conditions <br />dictate the necessity for additional supplies of aggregate, the expansion of existing <br />operations is preferred over new quarries. <br />3. At no time during their operations should resource extraction affect the <br />quantity, quality, or dependability of residents' existing water supplies or result in the <br />diversion of existing water supplies. The full burden of proof for assuring this will lie with <br />the applicant. <br />4. Access from Highway 115 to any resource extraction operation should not <br />affect the quality of the existing access to area residents. <br />5. Unless it can be demonstrated that topography will shield existing residents <br />from visual, noise, and dust impacts, all resource extraction operations should be located a <br />minimum of two miles distant from any dissenting residents. <br />6. Wildlife and wildlife protection routes should be protected through the <br />development of a wildlife overlay zone, addressing the need for protecting critical habitat <br />areas. <br />7. Development should not be allowed in riparian areas, both because the <br />hazard of flooding and because of their exceptionally high wildlife values. Any drainage <br />improvements undertaken in the area should be treatd in the most natural way possible to <br />minimize any impacts on riparian areas. <br />8. The specific area of Aiken Canyon is identified as a unique and significant <br />biological resource of state-wide significance that should continue to be preserved. <br />Preservation is not compatible with most public access, and management should maximize <br />wildlife and scientific values. <br />4 <br />