Support

Preferred Options

Representation ID: 50753

Received: 03/08/2012

Respondent: Taylor Wimpey

Agent: Barton Willmore

Representation Summary:

The provision of a draft infrastructure plan is supported to assist in providing certainty to developers when bringing forward new sites but further refinement of this plan may be needed. The NPPF advocates a CIL charging schedule being prepared in tandem with the local plan, this is important to assist in determining the cost of items in the infrastructure plan. This is particularly important given the Strategic Transport Assessment Overview Report which identifies a requirement of approximately £5,000 per property.

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