Support
Preferred Options
Representation ID: 47311
Received: 31/07/2012
Respondent: A C Lloyd Homes Ltd and Northern Trust
Agent: Framptons
We support principle of the development of a Community Infrastructure Levy for Warwick District, but wish to ensure that the development industry is properly represented in the CIL formulation. It is evident from the draft Local Plan that there misconceptions about the practicalities of delivering strategic development sites, for example seeking to impose an inappropriate phasing policy (paragraph 7.20 and PO:4). The development industry can assist the local planning authority and other stakeholders in formulating a robust CIL and this expectation of co-operation should be added to the policy.
We support principle of the development of a Community Infrastructure Levy for Warwick District, but wish to ensure that the development industry is properly represented in the CIL formulation. It is evident from the draft Local Plan that there misconceptions about the practicalities of delivering strategic development sites, for example seeking to impose an inappropriate phasing policy (paragraph 7.20 and PO:4). The development industry can assist the local planning authority and other stakeholders in formulating a robust CIL and this expectation of co-operation should be added to the policy.