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Appeal No. 2012-01 <br />(HRCA No. 2012-01/HRC No. 2012-01) <br />June 4, 2012 <br />Page 3 <br />events that have made a significant contribution to the broad patterns of California's history and <br />cultural heritage." Neither of the assessments contained in the Discovery Works study or <br />subsequent revised Cultural Resources Analysis for the TAVA DEIR found the Sexlinger property <br />to be eligible for the CRHR due to its small size and lack of connection to broader, statewide <br />historical patterns. In contrast, the Sapphos Environmental study did state that the property <br />appeared to be eligible for the CRHR under Criteria 1. <br />Following the filing of the application for appeal of the HRC's decision the City received a letter of <br />opposition to the appeal from the Schroeders (Exhibit C). The Schroeders again reiterated that <br />the property lacks many of the features necessary to have it be considered a good example of a <br />citrus farm and also cited many other reasons why the property should not be listed. <br />The action before the HRC was to make a determination of eligibility for the Santa Ana Register <br />of Historical Properties. The State's eligibility requirements were not a part of this assessment, <br />primarily because the State will not list a property against the property owner's wishes. The staff <br />recommendation was to consider listing under the City's Criteria 6, which relates to buildings or <br />structures that were connected with a business or use which was once common, but is now rare. <br />The recommended categorization was "Key" which refers to a building, structure, object or site <br />that is characteristic of a significant period in the history of the city. Some members of the HRC <br />noted that, while the citrus industry had played a significant role in Santa Ana's history, that the <br />Sexlinger property was not a particularly good example. This view is substantiated by the <br />Schroeder's testimony. <br />"Active Participation" of Landowner in Maintaining Historical Property - In deliberating the <br />decision to list the Sexlinger property the HRC discussed the property owner's responsibility to <br />rehabilitate, preserve and maintain the orchard and house in a manner that would be consistent <br />with its historic designation, particularly given the fact that the property owner was opposed to the <br />listing. Staff explained that the listing would not require the property owner to meet the Secretary <br />of the Interior's Standards for historic properties, but that they would need to maintain it in a <br />manner that ensured public safety. Staff also noted that the historic designation would not <br />preclude the property owner from eventually demolishing the house and grove. Section 30-7 of <br />the SAMC outlines a process under which a property owner, after having exhausted a variety of <br />alternatives for preserving the resource, can demolish the site. <br />Given that the listing would not ensure long term preservation or eventual demolition, the HRC, <br />declined to list the property. <br />Financial Impact of Historic Preservation on Property Valuation - The Sexlinger property is currently <br />the subject of a proposed residential project that conforms to the current Low Density Residential <br />land use designation contained in the General Plan. In their letter opposing the listing, the property <br />75A-3