2. Background

Showing comments and forms 1 to 8 of 8

Support

Gypsy and Traveller Site Options

Representation ID: 54148

Received: 29/07/2013

Respondent: National Federation of Gypsy Liaison Groups

Representation Summary:

It should be recognised that the need for provision as set out in the GTAA is theminimum requirement

Full text:

It should be recognised that the need for provision as set out in the GTAA is theminimum requirement

Comment

Gypsy and Traveller Site Options

Representation ID: 55787

Received: 25/08/2013

Respondent: King Henry VIII Endowed Trust (Warwick)

Agent: AMEC

Representation Summary:

Delay between preparation of 2012 Assessment and Local Plan adoption means a further assessment to inform pitch provision for the latter part of the plan period may be necessary.

As most recent assessment was only for Warwick District it might not fully take into account provision in surrounding districts which may influence level of need in Warwick District.

Concerns that some sites are neither deliverable and/or developable.

Full text:

see attached

Attachments:

Comment

Gypsy and Traveller Site Options

Representation ID: 55790

Received: 25/07/2013

Respondent: Old Warwickians

Agent: AMEC

Representation Summary:

Delay between preparation of 2012 Assessment and Local Plan adoption means a further assessment to inform pitch provision for the latter part of the plan period may be necessary.

As most recent assessment was only for Warwick District it might not fully take into account provision in surrounding districts which may influence level of need in Warwick District.

Concerns that some sites are neither deliverable and/or developable.

Full text:

see attached

Attachments:

Comment

Gypsy and Traveller Site Options

Representation ID: 55792

Received: 25/07/2013

Respondent: Warwick Apprenticing Charities

Agent: AMEC

Representation Summary:

Delay between preparation of 2012 Assessment and Local Plan adoption means a further assessment to inform pitch provision for the latter part of the plan period may be necessary.

As most recent assessment was only for Warwick District it might not fully take into account provision in surrounding districts which may influence level of need in Warwick District.

Concerns that some sites are neither deliverable and/or developable.

Full text:

see attached

Attachments:

Comment

Gypsy and Traveller Site Options

Representation ID: 55841

Received: 24/06/2013

Respondent: Mrs Clare Barnes

Representation Summary:

Council needs to make more effort to consult with people and ensure people are aware of proposals. Consultation needs to be meaningful.

Where are the current designated areas for travelling show people?

Are the pictures used of Gypsy sites and not just holiday sites? They do not appear to be very representative.

Full text:

My husband attended a residents association meeting this evening and it was quite apparent there is a lot of anger locally about the lack of local consultation by the council. That's not to mention the anger about the proposals.

I have already raised my concerns about this and would like to know what the council intends to do. As I've said before consultation is just that and people affected need to be informed, not people the other side of Warwick. I imagine people the other side of Warwick are quite pleased as this isn't on their door steps and will probably support the proposal!

I'm also extremely concerned to hear the the bin leaflets were not delivered to the Forbes Estate. These people are as affected as us, as the local schools are within this area. This is frankly very poor.

I'm also very disapointed by the leaflet produced to explain the location of the Gyspy Sites. Can you confirm that the pictures used are of Gypsy sites and not just holiday sites. There are no cars or people even. No concrete hard standing or toilet blocks. Really not very representative. Also, the map that shows the positon of all the sites is misleading. The site GT17&18 are opposite. The map doesn't show this.

Object

Gypsy and Traveller Site Options

Representation ID: 55875

Received: 29/07/2013

Respondent: Barwood Strategic Land II Limited

Agent: HOW Planning LLP

Representation Summary:

Lack of joint GTAA with other LPAs to explore land availability undermines a successful CPO. Costs of CPO likely to be prohibitive and a financial risk

Lack of landowner engagement means consultation is a flawed and largely worthless.

The Green Belt and other and restrictions in the District, mean focussing on a joint GTAA would be better use of resources.

Full text:

SEE ATTACHED

Attachments:

Comment

Gypsy and Traveller Site Options

Representation ID: 57499

Received: 25/08/2013

Respondent: King Henry VIII Endowed Trust (Warwick)

Agent: AMEC

Representation Summary:

Delay between preparation of 2012 Assessment and Local Plan adoption means a further assessment to inform pitch provision for the latter part of the plan period may be necessary.

As most recent assessment was only for Warwick District it might not fully take into account provision in surrounding districts which may influence level of need in Warwick District.

Concerns that some sites are neither deliverable and/or developable.

Full text:

see attached

Attachments:

Object

Gypsy and Traveller Site Options

Representation ID: 58785

Received: 18/07/2013

Respondent: Mr Mark Griffin

Representation Summary:

Photographs are of holiday caravan site and therefore misleading.

Full text:

Firstly may I apologise for not submitting an online consultation form. The process took longer than expected with multiple problems online hence the version by letter.

Part A

The information required in addition to my address is:
Telephone number: 01926 624455 / 07802 470896
Email: mark.griffin@expom.co.uk
Would you like to be made aware of future consultations on Gypsy Traveller sites - YES
Gender: Male
Ethinic origin: White British
Age: 45 - 54
Method of learning about consultation: newspaper

Part B

Commenting on the Gypsy and Traveller Site Options.

I would like to refer my comments specifically to the following sites:
GT05, GT06, GT09, GT10, GT12, GT15, GT16, GT17, GT18, GT20.

I would like to OBJECT to the proposal of all these sites for the reasons stated below. I have based my objections on the suitability and sustainability criteria used in the WDC consultation document.

* Site 16 - is actually the flood compensation area from the Barford bypass build and contains a permanent central pond and is unsuitable for any form of development. No one from WDC can have surveyed this possible location ahead of consultation.

* Sites 6 and 9 - sit immediately approximate to the Asps which Warwick District Council decided, after further research regarding the landscape and transport impact of development, that site should remain open due its value as a backdrop to the historic Warwick Castle Park. The Revised Development Strategy, therefore, excludes the Asps and should also exclude the adjoining sites 6 and 9 for the same reasons.

* Sites 5, 6, 9, 10, 12, 15, 16, 17, 18 and 20 - the sites are not sustainable in terms of multi modal accessibility. None of the sites offer the ability to access local community facilities (schools, doctors surgeries etc) on foot or on bike via pedestrian footpaths or cycle routes, or by bus. The only means of accessibility is by car which would place further pressure on the local highway network infrastructure and is unsustainable.

* Sites 12 and 16 - sit within (part) and otherwise immediately adjacent to areas identified by the Environment Agency as having significant flood risk. Extensive flooding has taken place in both sites earlier this year.


* Sites 6 and 9 - These sites are situated on historic landfills which though closed may still have the potential to release greenhouse gases and are unsuitable for any form of permanent habitation and occupation.

* Sites 10 and 20 - These sites are situated adjacent to historic landfills which though closed may still have the potential to release greenhouse gases are unsuitable for any form of permanent habitation and occupation.

* Sites 5, 6, 9, 10, 12 and 16 - development would have a material negative impact on the capacity of Barford St. Peter's School, especially given the village's status as a "Secondary Service Village" and it's likely requirement to provide 70-90 new dwellings during the Plan period.

* Sites 12 and 16 - a number of residents have reported the existence of water voles in and immediately adjacent to these sites. Water voles are, of course, now a legally protected species.

* Sites 6 and 9 - there have been a number of reported wild deer sightings on this land and there is a population of deer that roam freely across the Castle grounds on to these 2 sites and beyond.

* Sites 12 and 16 - there is inadequate pedestrian crossing facilities for safe access into the village.

* Sites 5, 6, 9, 12, 16 and 20 - the development of all of these sites could not take place without a material adverse effect on the landscape and could not be integrated without harming the visual amenity of the sites.

* Sites 5, 6, 9, 12, 16 and 20 - WDC have disregarded their own Rural Area Policies, especially RAPs 1 (New Housing), 6 (New Employment), 10 (Safeguarding Rural Roads) and 15 (Camping and caravan Sites). In all respects the sites fail to meet the policy criteria to allow any form of development.

* Sites 5, 6, 9, 10, 12, 15, 16, 17, 18 and 20 - are not locations which allow peaceful and integrated co-existence with the local community.

* Sites 5, 6, 9, 12, 16 and 20 - development would lead to an unacceptable loss of farmland and rural employment, rendering the isolated sites (eg site 12) totally unviable.

* Sites 12 and 16 - vehicular access to these sites is from the A429 trunk road which was constructed as a bypass to Barford. It is a 60 mph speed limit road and there have been a significant number of accidents on it since its opening, including a fatality. The existing access into the sites is entirely inadequate.


* Sites 5, 6, 9, 10, 12, 15, 16, 17, 18 and 20 - vehicular access to these sites is from an already heavily utilised road network. Access and egress to and from these sites to the highways network would not be safe.

My general comments relating to ALL of the above sites are:

* WDC should have identified brownfield sites within the existing urban areas of Kenilworth, Warwick and Leamington for Gypsies and Travellers. These sites would be more suitable and sustainable, and would enable better integration in to the local community. Despite such sites existing, they are all being proposed for redevelopment for more valuable uses.

* WDC should consider allocating an area of land to the south of Warwick and Leamington including The Asps and Sites 5, 6, 9, 10 as Greenbelt to provide a 'buffer' to the proposed developments to the south of Warwick and Leamington and/or to extend the proposed Bishops Tachbrook Country Park as far as the Banbury Road near to Warwick Castle Park. This would ensure the villages in the south of the District retain their identity and are not 'swallowed up' by Warwick and Leamington over time.

* Availability - only 3 of the sites listed are available, namely sites 15, 17 and 18. By definition the remaining sites are not deliverable. A compulsory purchase order would be extremely lengthy, costly and unviable compared to other options.

* WDC should be requiring Gypsy and Traveller sites are delivered within the proposed major new housing developments in Kenilworth, Warwick and Leamington where 12,300 houses are proposed. This would ensure that the sites could be properly designed in a sustainable fashion and be fully integrated into a local community which will provide facilities such as a school, a doctors surgery and shops which are accessible on foot, on bike, by bus and by car.

* WDC should revisit its Greenbelt Policy and release sites to the north of Warwick and Leamington which would reduce the pressure to allocate land for all forms of development during the new Local Plan period to the south of the District.

* Ecology and Environment - all of the sites have some ecological value and environmental issues which does not appear to have been assessed.

The consultation document published by WDC June 2013 misrepresents proposed size and visual impact of a completed site! Pictures used on page 3 and page 4 are from holiday caravan sites. The proposal of each pitch being 500 sqm each in size is omitted from the document and is misleading. Approved, licenced Gypsy and Traveller sites do not look like that in WDC 's consultation document.

Can you pleased confirm receipt of this response for my records.