Orange County NC Website
14 <br /> 404 tonight, we represent a small fraction of the wider community expected to participate in <br /> 405 envisioning County land use policy for the next 26 years. On Highway 54 and Morrow Mill <br /> 406 Road, there's a gas station, convenience store, and Piedmont Feed fully consistent with <br /> 407 the definition of rural neighborhood activity nodes in the UDO and comprehensive plan. <br /> 408 Seeking rural neighborhood activity node, which I'll call RNAN, designation to add 70 plus <br /> 409 acres of mixed use, serving only this proposed private development's residents and <br /> 410 visitors is inconsistent with the comprehensive plan's direction to locate RNANs to serve <br /> 411 the local agricultural and residential community. Changing policy to allow commercial use <br /> 412 with no public benefit on a non-crossroads property would threaten the genuine public <br /> 413 interest of local communities of crossroads throughout Orange County. The future land <br /> 414 use map includes ten RNAN nodes totaling 1,166 acres and 82 percent of that is zoned <br /> 415 agricultural residential, 15 percent of it is R1 residential. By design, these nodes are <br /> 416 confined to a small radius. This developer requests adding 70 plus acres to a 125-acre <br /> 417 node beyond the circle. The intersection of 54 and Morrow Mill Road, like other nodes, is <br /> 418 not in an area marked for transition from rural to urban-type development or infrastructure. <br /> 419 This is a significant inconsistency because development standards in the LIDO state that <br /> 420 MPD-CD districts shall be limited to transition land use categories. If this board were to <br /> 421 recommend allowing MPD-CDs in nodes, you would open up ten nodes in non-transition <br /> 422 areas to unlimited exponential high-density intrusion into the surrounding low-density rural <br /> 423 communities. It's important to note that if you were to rezone a conditional district in a <br /> 424 node, there's an exception in which acreage limitations do not apply as they would for the <br /> 425 existing small-scale LC1 or NC2 commercial zoning, each of which are limited to a <br /> 426 maximum of 5 acres under the existing ordinance. I urge you not to recommend this <br /> 427 change to the future land use map and comprehensive plan because there are significant <br /> 428 unanswered questions about the rationale for allowing multiple and mixed uses in our <br /> 429 node. At the last meeting, the developer stated they would provide no services to outside <br /> 430 people, such as restaurants. The full range of proposed commercial uses are unclear in <br /> 431 the application packet, but in communications with planning staff and at neighborhood and <br /> 432 orientation meetings, the developer has discussed a pub, a coffee shop, and a store <br /> 433 exclusively for the development's investors and guests. The developer's proposal is <br /> 434 inconsistent with Appendix F stating that a rural neighborhood activity node identifies <br /> 435 areas in the county where small-scale commercial uses serving the population in the <br /> 436 surrounding area are appropriate and the overlay locational criteria that say serving the <br /> 437 local low density rural and agricultural population generally less than 1,000 persons. So, <br /> 438 residents of a high-density development cannot simultaneously be part of the node and <br /> 439 also be the low-density population surrounding the node. We in the Morrow Mill Road and <br /> 440 Goldmine Loop communities make up the surrounding population, and we would not be <br /> 441 served. Please do not allow a single developer to re-write County policy to benefit <br /> 442 themselves and burden rural communities around all ten nodes with misplaced high- <br /> 443 density use in low-density areas without supporting infrastructure. There would be zero <br /> 444 harm in not recommending the proposed UDO amendments in Item 7. Not expanding the <br /> 445 node would not harm the public interest because the proposal does not plan uses that <br /> 446 would serve members of the public. Not allowing MPD-CD districts and RNANs would not <br /> 447 harm local communities because rural communities at these nodes are not seeking high- <br /> 448 density mixed-use development that would encroach on farms and rural properties. Item <br /> 449 8, 1 urge you not to amend the UDO to allow family care homes in an MPD-CD zoning <br /> 450 district. The developer proposes changing UDOs necessary to build these centers and <br /> 451 that the rural neighborhood activity nodes designation should change. The parcel's <br /> 452 current AR zoning, however, already permits family care centers without rezoning. The <br /> 453 claim that these centers should be a permitted use that family care homes should be a <br />