H1 Directing New Housing

Showing comments and forms 1 to 23 of 23

Support

Publication Draft

Representation ID: 64959

Received: 18/06/2014

Respondent: Mrs Angela Fryer

Representation Summary:

I support the housing plans suggested as they look at small developments of approximately 50 houses maximum.
I object to any plans put forward by Coventry City Council for the building on the land of Kings Hill. This suggesion by CCC of offering Green Belt land for up to 5000 houses is totally unacceptable as it will destroy Green Belt and remove the existing 'buffer' of green land between Kenilworth and Coventry creating an urban sprawl.

Full text:

I support the housing plans suggested as they look at small developments of approximately 50 houses maximum.
I OBJECT to any plans put forward by Coventry City Council for the building on the land of Kings Hill. This suggesion by CCC of offering GREEN BELT land for up to 5000 houses is totally unacceptable as it will destroy Green Belt and remove the existing 'buffer' of green land between Kenilworth and Coventry creating an urban sprawl.

Object

Publication Draft

Representation ID: 65238

Received: 27/06/2014

Respondent: Deeley Group Ltd

Agent: Delta Planning

Legally compliant? Yes

Sound? No

Duty to co-operate? No

Representation Summary:

It is considered that the subsequent explanation and linked policies do not allow this policy to be fully delivered. Specifically, the policy states that it will direct new development to Growth Villages, but the later approach to this is limited solely to allocated sites. It is considered that new housing should not only be allowed on the sites shown on the Policies Map for the Growth Villages, but also on other suitable sites that can assist in meeting the District's housing requirements.

Full text:

Deeley Group is in general support of the approach set out in Policy H1 to directing new housing on the basis of the settlement hierarchy.

It is however considered that the subsequent explanation and linked policies to this do not allow this policy to be fully delivered. Specifically, the policy states that it will direct new development to Growth Villages, but the later approach to this is limited solely to allocated sites. It is considered that new housing should not only be allowed on the sites shown on the Policies Map for the Growth Villages, but also on other suitable sites that can assist in meeting the District's housing requirements.

As set out in objections to Policy DS10, it is considered that there is a shortfall in housing provision proposed in this Plan and it is proposed that this shortfall can be accommodated via the Growth Villages. This is detailed further in the response to Policy H10.

Object

Publication Draft

Representation ID: 65284

Received: 25/06/2014

Respondent: A C Lloyd Homes Ltd

Agent: Delta Planning

Legally compliant? Yes

Sound? No

Duty to co-operate? No

Representation Summary:

A C Lloyd is in general support of the approach set out in Policy H1 to directing new housing on the basis of the settlement hierarchy.

It is however considered that the subsequent explanation and linked policies to this do not allow this policy to be fully delivered. Specifically the policy states that it will direct new development to Growth Villages, but the later approach to this is limited solely to allocated sites. It is considered that new housing should not only be allowed on the sites shown on the Policies Map for the Growth Villages, but also on other suitable sites that can assist in meeting the District's housing requirements.

As set out in objections to Policy DS10, it is considered that there is a shortfall in housing provision proposed in this Plan and it is proposed that this shortfall can be accommodated via the Growth Villages. This is detailed further in the response to Policy H10.

Full text:

A C Lloyd is in general support of the approach set out in Policy H1 to directing new housing on the basis of the settlement hierarchy.

It is however considered that the subsequent explanation and linked policies to this do not allow this policy to be fully delivered. Specifically the policy states that it will direct new development to Growth Villages, but the later approach to this is limited solely to allocated sites. It is considered that new housing should not only be allowed on the sites shown on the Policies Map for the Growth Villages, but also on other suitable sites that can assist in meeting the District's housing requirements.

As set out in objections to Policy DS10, it is considered that there is a shortfall in housing provision proposed in this Plan and it is proposed that this shortfall can be accommodated via the Growth Villages. This is detailed further in the response to Policy H10.

Object

Publication Draft

Representation ID: 65339

Received: 25/06/2014

Respondent: Mr Carl Stevens

Legally compliant? No

Sound? No

Duty to co-operate? Yes

Representation Summary:

For these areas where green belt is involved the circumstances for those areas are not exceptional enough to lose the heritage land in this way as per NPFF.

Full text:

For these areas where green belt is involved the circumstances for those areas are not exceptional enough to lose the heritage land in this way as per NPFF.

Object

Publication Draft

Representation ID: 65353

Received: 26/06/2014

Respondent: Mrs Laura Teodorczyk

Legally compliant? Yes

Sound? No

Duty to co-operate? No

Representation Summary:

The assessment of Hatton Park as a Growth Village is subjective and only JUST places it into this category.

Hatton Park is made up of some 750 homes and is responsible for local population growth of 48% since 2001.

There is already a wide range of housing types - including affordable housing.

Facilities and services within Hatton Park are insufficient to be associated with a Growth Village.

Full text:

Referring specifically to Hatton Park as a Growth Village (site H28):

The assessment of Hatton Park as a Growth Village is subjective and only JUST places it into this category. If the population of Hatton Park wasn't described as "about 2020" and instead was accurately assessed at say 1990, it would not be a Growth Village.

Hatton Park is responsible for local population growth of 48% since 2001 (even higher for younger people) and there is a wide range of housing types - including affordable housing. Therefore WDC's justification for improving housing stock and encouraging population growth in the younger demographic DOES NOT APPLY to Hatton Park.

Facilities/services/amenities within Hatton Park are insufficient to be associated with a Growth Village. There is a community centre and small village shop - but that is all.

Public transport within Hatton Park is insufficient. The bus service is sporadic and unreliable and therefore underutilised. Residents have to rely on cars to access supermarkets, doctors surgeries, schools, post offices, dentists, train stations, restaurants etc.

Object

Publication Draft

Representation ID: 65356

Received: 26/06/2014

Respondent: Martin Teodorczyk

Legally compliant? Yes

Sound? No

Duty to co-operate? No

Representation Summary:

Hatton Park should not be considered as a Growth Village because:

Classification is unsound, subjective and borderline;

Hatton Park has provided significant population growth, especially young people

There is already a wide range of housing types;

A Housing Needs Survey for the Parish of Hatton carried out in May 2014 demonstrated a need for 12 dwellings.

The calculation and subsequent categorisation of Hatton Park as a Growth Village is highly questionable and should be carefully assessed.

Full text:

Hatton Park should not be considered as a Growth Village because:

Classification is unsound, subjective and borderline;

Hatton Park has provided significant population growth, especially young people

There is already a wide range of housing types;

A Housing Needs Survey for the Parish of Hatton carried out in May 2014 demonstrated a need for 12 dwellings.

The calculation and subsequent categorisation of Hatton Park as a Growth Village is highly questionable and should be carefully assessed.

Support

Publication Draft

Representation ID: 65472

Received: 27/06/2014

Respondent: King Henry VIII Endowed Trust (Warwick)

Agent: AMEC

Representation Summary:

The Trust supports the Council's decision to direct most new development to sites within, or to the edge, of the main towns within Warwick District namely Leamington, Warwick, Whitnash and Kenilworth. Having regard to existing development constraints within the district, including the extent of designated Green Belt land, we also support the Council's decision to direct some development to named 'Growth Villages'.
Accordingly, the Trust broadly supports the distribution of housing growth and the spatial hierarchy set out in policy DS10 'Broad Location of allocated Housing Sites' and Policy H1 'Directing New Housing'.

Full text:

See attachment

Support

Publication Draft

Representation ID: 65525

Received: 27/06/2014

Respondent: Sharba Homes Group

Agent: PJPlanning

Representation Summary:

We agree with paragraph 4.7 of the plan, which offers detailed explanation on this policy. This correctly identifies Barford as a Growth Village within the District, therefore designating it as an area where a level of housing growth is to be expected.

Full text:

We agree with paragraph 4.7 of the plan, which offers detailed explanation on this policy. This correctly identifies Barford as a Growth Village within the District, therefore designating it as an area where a level of housing growth is to be expected.

Object

Publication Draft

Representation ID: 65718

Received: 25/06/2014

Respondent: Court (Warwick) Ltd

Agent: Stansgate Planning

Legally compliant? Yes

Sound? No

Duty to co-operate? Yes

Representation Summary:

Identification of Stoneleigh as Limited Infill Village is supported but it is considered that the forms of development likely to be permitted are unnecessarily restrictive/inflexible, and as a result the Plan will not deliver the level of windfalls required to meet the housing needs. Plan therefore is ineffective/unsound.
Limitation on use of garden land in Policy H1 is deemed unnecessary/redundant in that impacts of a development are to be considered under other Plan policies. No policy objection in principle to development of garden land contained in national planning guidance.Paragraph 53 of the Framework notes that lpa's should consider the case for setting out policies to resist inappropriate development of residential gardens where specific circumstances exist, (e.g. where development would cause harm to local area). Guidance does not set automatic/general presumption against development of garden land.
Little legacy of redundant brownfield sites in Limited Infill Villages in order to provide opportunities for windfall housing development. There are, examples of waste, unused, under-used and damaged plots of 'greenfield' land within villages which could be released for housing without harm to character/appearance of village. Release of such sites would provide best efficient/effective use of land and make important contribution to supply of housing.

Full text:

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Attachments:

Support

Publication Draft

Representation ID: 65720

Received: 27/06/2014

Respondent: Mark and Sarah Grimes

Agent: Strutt & Parker

Representation Summary:

H1 is considered sound. Support criterion b) presumption in favour of new housing development within Limited Infill Villages. Bubbenhall is designated as a Limited Infill Village

Support

Publication Draft

Representation ID: 65883

Received: 27/06/2014

Respondent: Centaur Homes

Agent: McLoughlin Planning

Representation Summary:

Centaur Homes support Hampton Magna being identified as a Growth Village,
however, due to the acknowledged limited supply of sites in urban areas, this Policy should make a provision for development to be allowed to occur in locations adjacent to existing settlement boundaries.This Policy provides an opportunity for development to occur on brownfield sites adjacent to settlement boundaries, not only to re-use redundant or disused buildings,but to re-use the whole site to enhance the local environment

Full text:

See attachment

Support

Publication Draft

Representation ID: 66040

Received: 27/06/2014

Respondent: A C Lloyd Homes Ltd

Agent: Stansgate Planning

Representation Summary:

The Council has carefully considered the strategy for distributing housing across the District to ensure the needs of all can be met in the most sustainable manner. The designation of Growth Villages, irrespective of whether they lie in the Green Belt or not, is an appropriate way to ensure the needs of the more rural areas can be met, consistent with national policy. In particular the recognition that Kingswood should be designated as a Growth Village is appropriately justified by the Council's evidence base.

Full text:

See attachment.

Object

Publication Draft

Representation ID: 66151

Received: 27/06/2014

Respondent: Hatton Estate

Agent: RPS

Legally compliant? Not specified

Sound? No

Duty to co-operate? Not specified

Representation Summary:

We consider that Hatton Station should be moved into Growth Village category on the basis of the station, which makes the settlement highly accessible to higher order services and facilities in the main towns, and accordingly there should be an allocation for residential development within the settlement. In the Local Plan it is currently designated as a Limited Infill Village. On this basis, we believe that Policies DS11 and H1 of the Local Plan are unsound as they fail the tests in respect to being positively prepared, justified, effective and consistent with national policy.

Full text:

see attached

Object

Publication Draft

Representation ID: 66225

Received: 27/06/2014

Respondent: Savills

Legally compliant? Yes

Sound? No

Duty to co-operate? Yes

Representation Summary:

There is no justification for the reduction in housing capacity for Kingswood from between 100 to 150 in the Revised Development Strategy to 43 in the Publication Draft. Part of site 8 (Land to the south of Kingswood Close) fronting onto Station Lane (as identified in the enclosed plan) should be allocated for 9 - 16 houses

Full text:

see attached

Attachments:

Object

Publication Draft

Representation ID: 66245

Received: 24/06/2014

Respondent: Crest Strategic Projects

Agent: d2planning

Legally compliant? No

Sound? No

Duty to co-operate? No

Representation Summary:

Crest object to the proposed hierarchy in that it does not consider how unmet development needs from adjoining Districts can and should be met. It is highly likely that the District will have to accommodate some of the unmet housing needs from Coventry City. The Local Plan should consider how best such housing needs can be accommodated in a sustainable way.

It is concluded that these housing needs me best accommodated on land currently within the green belt to the south of Coventry. Where it has been recognised previously that Coventry's housing needs could not be met land to the south of Coventry partly in the green belt have been identified for release. Crest control land at Lodge Farm, which is immediately available to accommodate additional housing development the Joint Strategic Green Belt Study confirmed that the land had potential to be released from the green belt.

Full text:

see attached

Attachments:

Support

Publication Draft

Representation ID: 66299

Received: 26/06/2014

Respondent: Mr H E Johnson

Agent: Bond Dickinson

Representation Summary:

We support the Council's aims to create healthy, safe and inclusive communities.

Full text:

see attached

Object

Publication Draft

Representation ID: 66335

Received: 20/06/2014

Respondent: Cllr Ann Blacklock

Legally compliant? Yes

Sound? No

Duty to co-operate? Not specified

Representation Summary:

Drawing the Growth Village [new Green Belt] boundary so tighly around existing settlement in Burton Green plus proposed new H24 allocation precludes the possibility of a windfall in the future.

Full text:

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Attachments:

Object

Publication Draft

Representation ID: 66391

Received: 30/06/2014

Respondent: Mr john fletcher

Legally compliant? Not specified

Sound? No

Duty to co-operate? Not specified

Representation Summary:

Coventry City Council might be prepared to sell to WDC land it owns on outskirts of Coventry but within WDC area. This is Green Belt land but status not easily defensible in current housing situation and the area allows easy car access to proposed Gateway site. Land would be sufficient for up to 5,000 homes. It is reported that the leader of Warwick DC has rejected this offer out of hand

Full text:

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Attachments:

Support

Publication Draft

Representation ID: 66457

Received: 27/06/2014

Respondent: Environment Agency

Representation Summary:

In line with recommendations within Halcrow Water Cycle Study 2010, which recommends that:
„Floodplains should be safeguarded from future development and local authorities must apply the Sequential Test to ensure all new development is directed towards Flood Zone 1 in the first instance.
Opportunities should be taken to reinstate areas of functional floodplain which have been previously developed and Flood Zones 2 and 3 should be left as open space‟
Recommend addition of the following points within the policy wording:
vi) the development is not at risk of flooding and will not increase the risk of flooding elsewhere.
vii) All development proposals should be discussed with STW at the earliest possible opportunity, to understand the constraints for development and potential upgrades required to ensure the provision of adequate foul/ waste water infrastructure.'

Full text:

Local Plan Strategy and Objectives:
Welcome LP strategy and supporting objectives, and commitment to deliver framework provided by the objectives to deliver sustainable development giving full consideration to the natural environment.
Development Strategy:
DS3 Supporting Sustainable Communities
Recommend two amendments to chapter 2.8
Within point .a) physical infrastructure the text should be amended to include
'Flood defence structures' within the examples given.
We would recommend that point c) of this policy is expanded to highlight the multiple benefits that green infrastructure can deliver, in your policy the provided examples include parks, open space and playing pitches.
Does not accurately identify range of ecosystem services that green infrastructure provides, including surface water management and improving water quality, through Sustainable Drainage Systems (SuDS), habitat and green routes for biodiversity movement, to support nature conservation/expansion of habitat. Assists with reducing the urban heat island by providing thermal cooling as an adaptation of climate change in addition to providing health and social benefits. It should be considered as integral to all new developments rather than as separate entity such as formal green space for recreational uses.
c) Recommend bullet point be amended to include the following text:
„Ecosystem services including Sustainable Drainage Systems (SuDS), expansion of habitat and as an adaptation to climate change „is added to the end of the sentence.
DS4 Spatial Strategy
Support this policy and welcome the prioritisation of brownfield redevelopment first approach advocated by this policy, however:
Recommend that point f) be amended to include the following text
'or other highly sensitive features in the natural environment (included designated sites for nature conservation) will be avoided'
Recommend insertion of the following statements:
„h) sensitive groundwater resources (i.e. source protection zones) supporting public water supply boreholes are protected'.
i) ensure that development is not at risk of flooding, does not increase flood risk elsewhere and will reduce flood risk overall.‟ DS7 Meeting the Housing Requirement
In chapter 2.23 we note that this approach provides the opportunity to investigate and remediate any contaminated land. Development proposals should be supported by Preliminary Risk Assessment (i.e. Desk study, conceptual model and initial assessment of risk on controlled waters receptors). DS10, DS11& DS15: The EA supports council‟s preference for allocating PD sites. Development proposal should be supported by Preliminary Risk Assessment (i.e. Desk study, conceptual model and initial assessment of risk on controlled waters receptors).
Development proposals should take into consideration the EA's groundwater protection policy (GP3) to ensure that groundwater resources are not impacted as a result of development.
EC2 Farm Diversification
Recognise importance of farming to the rural economy, and need to support diversification into non agricultural activities. However farm diversification can involve range of activities from recreational to energy production that may have negative impact upon the environment. Therefore recommend insertion of the following statements into the policy:
'd) Farmland is important for nature conservation and biodiversity. Enhancements to maintain ecological resilient networks through the countryside should be incorporated to proposals. e) Connectivity of riparian corridors are maintained and protected with buffer margins and tree planting
f) There will be a presumption against development that could lead to the degradation of the Water framework Directive (WFD) status of the waterbody should not be permitted'.
CT6 Camping and Caravan Sites
EA recognises importance of these sites for holiday use is important to local economy, but this needs to be balanced with the requirements of European Directives and the NPPF.
In line with existing practice guidance for the NPPF we note that Camping and Caravan parks are classified as „highly vulnerable‟ and that planning permission must not be granted for sites located within flood zone 3, and that the exception test must be granted for sites within flood zone 2.
We recommend that a precautionary approach be taken and we recommend the insertion of the following policy wording:
'There is a presumption against locating camping and caravan sites within the flood plan because of their vulnerability within a flood event'
The Environment Agency is concerned about the potential impacts that new camping / caravan sites may have on meeting the requirements of the Water Framework Directive, specifically in relation to the provision of foul waste infrastructure.
During the year there may be significant peaks in use of toileting precautionary approach taken and recommend insertion of the following policy wording:
'There should be a presumption against development of new camping and caravan sites that can not demonstrate adequate provision for the management and discharge foul / waste water'.
Refer you to letter sent to your Authority in relation to the preferred options consultation - Sites for Gypsies and Travellers ref UY/2007/101229/SL-04/PO1 - LO1 dated 09 May 2014. where there us more detailed information about potential allocations, and provides supporting evidence for policy recommendations.
CT7 Warwick Castle and Warwick Racecourse/St Mary‟s Lands
Acknowledge need to allow new development within this area that is sensitive to heritage assets; recommend that the following policy wording is added to the policy:
f) Identify how the proposals will contribute to EU Water Framework Directive and the Severn River Basin Management plan which requires the restoration and enhancements of water bodies to prevent deterioration and promote recovery of waterbodies.
We have the following information about the watercourse status as determined under WFD objectives.
GB109054043800 (Gog Brook from Source to confl with R Avon) is failing WFD with Moderate status (2009)
GB109054044402 R Avon (Wark) conf R Leam to Tramway Br, Stratford is failing WFD with Moderate status (2009)
To meet the requirements of the WFD objectives these waterbodies must reach good ecological status, all new development within this area must contribute to meeting this objective.
MS2 Note that the major sites include Stoneleigh Park and Stoneleigh Deer Park. The watercourse in this area is failing to meet good status as defined by the WFD, specifically waterbody GB109054043840 R Avon (Warks) - conf R Sowe to conf R Leam is failing WFD with Poor status (2009).
It is imperative that any new development contributes positively to improving quality of this watercourse.
Recommend that the following policy wording is added to the policy:
'Identify how the proposals will contribute to EU Water Framework Directive and the Severn River Basin Management plan which requires the restoration and enhancements of water bodies to prevent deterioration and promote recovery of waterbodies'.
Policy H1 Directing New Housing
In line with recommendations within Halcrow Water Cycle Study 2010, which recommends that:
„Floodplains should be safeguarded from future development and local authorities must apply the Sequential Test to ensure all new development is directed towards Flood Zone 1 in the first instance.
Opportunities should be taken to reinstate areas of functional floodplain which have been previously developed and Flood Zones 2 and 3 should be left as open space‟
Recommend addition of the following points within the policy wording:
vi) the development is not at risk of flooding and will not increase the risk of flooding elsewhere.
vii) All development proposals should be discussed with STW at the earliest possible opportunity, to understand the constraints for development and potential upgrades required to ensure the provision of adequate foul/ waste water infrastructure.'
Policy H5 Specialist Housing for Older People Residential care home are classified as "more vulnerable" in accordance with Table 2 of NPPF and are therefore considered appropriate in Flood Zones 1, 2 and 3a (Exception test required).
However, as the occupants are less mobile they are particularly vulnerable in a flood event, making evacuation more difficult. With this in mind, we recommend that you consider adding criteria:
'd) the proposed site is located in Flood Zone1.'

Policy H6 Houses in Multiple Occupancy, and Student Accommodation
Correctly identified that household waste management is often an issue at HMO‟s and Policy H6 e) requires that adequate provision is made for storage of refuse containers in new HMO‟s and that storage areas do not impact on the amenity of the local area.
While we would support this policy it is also important to ensure that not only is the space provided adequate but it is also appropriate to the functioning of the HMO.
For example there should be appropriate storage space internally at the point of arising as well as externally in order to minimise number of trips required to outside storage areas. The distance that occupants need to travel to access waste storage areas should also be considered as carrying waste beyond a certain distance may cause inconvenience and result in reduced participation in collection arrangements.
Distance between waste storage areas and waste collection points should also be considered. Routing and access for waste collection vehicles will also be important. In addition clear signage should be provided to identify what waste streams can go into each waste receptacle, this will be especially important for transient populations who may not be familiar with the authorities waste collection arrangements.
H8 New Gypsy and Traveller Sites
In line with existing practice guidance for the NPPF we note that Gypsy and Traveller sites are considered to be „highly vulnerable‟ and that planning permission must not be granted for sites located within flood zone 3, and that the exception test must be granted for sites within flood zone 2.
Recommend a precautionary approach and recommend the insertion of the following policy wording:
f) 'There is a presumption against locating camping and caravan sites within the flood plan because of their vulnerability within a flood event
g) The site will not impact on important designated sites for nature conservation.
h) Riparian Corridors are protected.
i)There should be a presumption against development of new traveller and gypsy sites that can not demonstrate adequate provision for the management and discharge foul / waste water'
SC0 Sustainable Communities
Would like to include the following points into this policy as they are significant indictors of sustainable development, furthermore without their inclusion into the text below the proposed policy may be judged as not meeting the requirements of the NPPF, or European legislation.
Suggest that point j) is re-worded as follows:
„reduce flood risk on the site and to the wider community through the layout and form of the development, and surface water is managed effectively on site through the incorporation of green infrastructure including Sustainable Urban Drainage systems into all new development's.
Recommend insertion of text below into the policy:
'h) Development proposals should have regard to and support the actions and
objectives of the Severn River Basin Management Plans (RBMPs) and also have regard to the River Severn Catchment Flood Management Plans (CFMPs).
i) Protect principal aquifers and the source protection zones associated with pubic supply boreholes within the northern part of the district, there will be a presumption against development within a groundwater SPZ1 which would physically disturb an aquifer.'
BE1 Built Environment
Note policy seems to provide an overarching approach to ensure that built development is both recommend:
following wording is added to the end of bullet point i)
' incorporating sustainable water managment features including, wetlands, ponds and swales, green roofs and street rain gardens.'
Recommend insertion of following points within the policy:
'q) Safeguard ecological features incorporating them into design and creating more resilient ecological networks, as an integral part of the scheme.
r) Development proposals must demonstrate that the strategic network of environmental infrastructure will be protected, enhanced and expanded at every opportunity. s) Ensure that there is an appropriate easement between all waterbodies/ watercourses to allow access and maintenance (for Main River this will be a minimum of 8 metres).
t) In line with objectives of the Water Framework Directive (WFD), development proposals must not adversely affect water quality of waterbodies in the District and wherever possible take measures to improve it.'
Recommend you consult your Lead Local flood Authority in relation to their requirements for easements for developments in close proximity to ordinary watercourses.
Development near to waterbodies should include access to them, and watercourses should reflect a natural state. Every opportunity should be taken where development lies adjacent to the river corridor, their tributaries or floodplain to benefit the river by reinstating a natural, sinuous river channel and restoring the functional floodplain within areas where it has been previously lost.
Welcome bullet point n) which requires sufficient provision for sustainable waste management within new developments.
TR3 Transport Improvements
Recommend policy amended to reflect the need to retrofit SuDS to existing transport routes, and to all new transport routes.
One of the significant contributions to pollution within some watercourses may be attributed directly to discharges of surface water from road network. This can contribute recovery of a watercourse and its ability to reach good ecological status as required by the Water Framework Directive.
Recommend policy is reworded to state:
'Contributions should include provision for public transport, footpaths, cycleways, towpaths and sustainable drainage systems, both internal and external to development areas'.
CC2 Planning for Renewable Energy and Low Carbon Generation Hydropower proposals (point g) must be supported by an assessment demonstrating that this method of energy generation will not compromise the objectives of the River Severn Basin Management Plan. New hydroelectric developments will also be subject to Flood Defence Consent from the relevant Flood Risk Management Authority.
Recommend insertion of following text:
h) Development proposals should have regard to and support the actions and objectives of the River Severn River Basin Management Plan (RBMPs)
i) Hydroelectric developments will also be subject to Flood Defence Consent from the relevant Flood Risk Management Authority'
FW1 Development in Areas at Risk of Flooding
Suggest that title of this policy is changed as it implies that development in areas of risk of flooding is appropriate , which is contrary to NPPF in which the aim of the Sequential Tests is to steer new development to areas with the lowest probability of flooding. We recommend that an alternative policy title such as „Reducing Flood Risk‟ is used instead. Where there are no reasonable available sites in Flood Zone 1, the Sequential Test should be applied; taking into account the flood risk vulnerability of land use and consider reasonably available sites in Flood Zone 2, applying the Exception Test if required. Only where there are no reasonable available sites in Flood Zones 1 and 2 should the suitability of sites in Flood Zone 3 be considered, taking into account the flood risk vulnerability of land uses and applying the Exception Test if required. As soon as the need for the Exception test is established, a level 2 SFRA should be undertaken by a suitable qualified technical expert or engineer. We have the following comments on the criteria outlined for this policy in relation to each bullet point within the policy. a) The SFRA level 1 Flood Zone maps are based on our Flood Map (fluvial risk) and the Areas Susceptible to Surface Water Flooding, now known as the Updated Flood Map for Surface Water (surface water risk). Unless there are plans to continually update the SFRA mapping, we suggest that our online Flood Map (now known as "Flood Map for Planning") available on the .GOV.UK website is referred to as this is updated on a quarterly basis and should provide the most up to date information.
b) this is essentially the Sequential test, and we would consider this criteria is re-worded to:
'the Sequential test is applied on the site so that the most vulnerable development is located in areas of lowest flood risk'.
c ) We recommend that the term "flood defence" in this criterion is replaced with the following wording
'development is appropriately flood resistance and resilience'
Because the term flood defence suggests formal flood walls etc which will prevent flooding in all circumstances, however even development behind flood defence structures can experience flooding through breach or overtopping. It is far more practicable to direct new development to flood zone 1 rather than in an area benefiting from existing flood defences. This should not be used to justify development in inappropriate locations.
e) Request clarification as to how the term "regular flooding" defined, we feel that this should either be removed from the policy, or the wording changed to indicate a likely return period, paying due regard to the NPPF which has a presumption against all development within the functional floodplain unless it can be described as water compatible.
g) Suggest this is re-worded to the following text:
'the development must be 'safe' over its lifetime, taking into account the effects of climate change. Safe pedestrian and emergency vehicle access routes above the 1:100 year plus climate change flood level must be available. Evacuation plans must be prepared for all new developments in flood risk areas'. Suggest that the paragraph "land that is required for current and future flood management will be safeguarded from development" is added as a continuation of the points (i) rather than a separate paragraph. We recommend that the paragraph "Where development is supported as an exception to this policy..." is removed, as there shouldn‟t be any exceptions to this policy and all criteria must be complied with. This wording is repeated in paragraph 5.130 and should be removed.
This is contrary to the National Planning Policy Framework, and the Environment Agency must object in principal to inappropriate development within the floodplain.
We would object to this section policy at a formal review of this plan, and it‟s inclusion could render the policy as unsound. We recommend the addition of the following criteria to Policy FW1 as supported by the level 1 SFRA: 'j) the functional floodplain is protected from all built development.
k) space should specifically be set aside for Sustainable Drainage System (SuDS) and used to inform the overall site layout.
l) development proposals must provide a minimum 8m wide development buffer strip from watercourses (culverted or otherwise).
m) every opportunity should be taken to de-culvert and re-naturalisation of watercourses. Culverting of existing open watercourses will not be permitted.
n) opportunities should be sought to reduce the overall level of flood risk in the area and beyond through the layout and form of the development, and the appropriate application of SuDS.
o)for residential development, finished floor levels are set a minimum of 600mm above the 1% (1 in 100 year) plus climate change flood level.
p) developers will be required to contribute towards the cost of planned flood risk management schemes that will benefit the site.
q) opportunities should be sought to make space for water within the development to accommodate climate change.
r) Development proposals will demonstrate that will not cause deterioration of the waterbodies WFD status and contribute to meeting good status.
s) Carry out a WFD Assessment to demonstrate how the waterbody will not deteriorate in status and will be enhanced
t) No detrimental impact on priority habitat or designated sites of nature conservation.' With regard to the FRA requirements, we suggest that point (a) is re-worded as
'within Flood Zone 2 or 3 or proposals of 1 hectare or greater in Flood zone 1, as defined on the Environment Agency's Flood Map for Planning'.
The mapping in Warwick District Council‟s SFRA level 1 is based on our Flood Map. The SFRA report states that it is a "living" document and should be reviewed on a regular basis. Our Flood Map for Planning is updated on a quarterly basis to incorporate improved river models etc and this should be reflected in the SFRA document.
However, if there are no plans to update the SFRA maps on a quarterly basis in line with our Flood Map updates, then we recommend that our Flood Map is considered the best available information or until such time as a level 2 SFRA is produced. Recommend that bullet points are used in this section so as to avoid confusion with the numbering system used in the criteria part of the policy. Paragraph 5.131 Our "Flood Map for Planning" replaced the indicative flood zone maps and should be referred to in this paragraph. FW2 Sustainable Urban Drainage We recommend that the title of this policy is re-worded to 'Sustainable Drainage' as the sustainable drainage applies to both greenfield and brownfield sites.
In the first paragraph "Sustainable Urban Drainage Systems (SUDS)" should be replaced with „Sustainable Drainage Systems (SuDS)‟ as they are now known.
The retrofitting of SuDS onto existing drainage systems should be a requirement for developments where it is not possible to install an entirely new system. Recommend that the following text is added to point c):
'ecological networks and informal recreation'
Suggest that the middle paragraph of this policy is re-worded as follows to make it clearer on the surface water hierarchy and that surface water discharge should be limited to greenfield runoff rate for all points of discharge:
„Surface water runoff should be managed as close to its source as possible in line with the following drainage hierarchy: i. Discharge into the ground (infiltration) unless it is demonstrated by infiltration tests and groundwater levels that infiltration is not possible. ii. Discharge to a surface water body. iii. Discharge to a surface water sewer, highway drain or another drainage system. iv. Discharge to a combined sewer. Above ground storage, such as balancing ponds, should be considered in preference to below ground attenuation, due to the water quality and biodiversity benefits they offer. For all sites, surface water discharge rate should be limited to the site-specific greenfield runoff rate for all return periods up to the 1% (1 in 100 year) plus climate change event' We recommend that the paragraph which includes the text "In exceptional circumstances, where a sustainable drainage system....c) contributions will be made to off-site SuDS schemes" is removed.
This wording provides an unnecessary get out clause and could result in the delivery of unsustainable development, sustainable drainage systems take many different forms and there is no reason why a SuDS solution cannot be designed for every site.
We welcome the policy requirement for developers undertake groundwater risk assessment to ensure that groundwater quality is protected a result of development proposals. Subsequently any proposal involving infiltration SuDS schemes should be accompanied by contaminated land investigations to endure that site condition is appropriate.
For sites that are identified as significantly contaminated EA would require input into any SuDS schemes proposed for new development to determine the most appropriate schemes. This would be to safeguard groundwater quality.

Attachments:

Object

Publication Draft

Representation ID: 66707

Received: 27/06/2014

Respondent: Barwood Strategic Land II Limited

Agent: HOW Planning LLP

Legally compliant? No

Sound? Not specified

Duty to co-operate? Not specified

Representation Summary:

This policy directs new housing growth in accordance with the Publication Local
Plan's Development Strategy. As identified through the Development Strategy
policies, the Publication Local Plan directs new housing growth to sustainable
locations including urban areas, growth villages and greenfield sites on the edge
of Warwick, Leamington and Whitnash.

Barwood considers that the allocation of The Asps site would be compliant with
Policy H1, as the site presents the opportunity to deliver a Sustainable Urban
Extension. This suitability of The Asps is further explored within Chapter 5 of
these representations.

Full text:

See attachment

Support

Publication Draft

Representation ID: 66731

Received: 25/06/2014

Respondent: Sir Thomas White's Charity & King Henry VIII Endowed Trust

Agent: Stansgate Planning

Representation Summary:

The designation of Growth Villages, irrespective of whether or not they lie in the Green Belt, is an appropriate way to ensure the needs of the the more rural areas can be met, consistent with national policy. In particular the recognition that Cubbington should be designated as a Growth Village is appropriately justified by the Council's evidence base.

Full text:

see attached

Attachments:

Object

Publication Draft

Representation ID: 66750

Received: 27/06/2014

Respondent: Mr Edward Walpole-Brown

Agent: Brown and Co

Legally compliant? No

Sound? No

Duty to co-operate? No

Representation Summary:

We challenge the distribution and in particular, the table
which features at 4.7 and the classification of the areas at Hatton Park and Hatton Green separately. We contend that Hatton Green should be considered in the context of the Hatton area generally and be more aligned to a growth village. It should feature highly and this is supported by the first sentence of 4.7 which recognises the need to direct growth to those villages which .... "have a reasonable
range of services and facilities" - it should feature more highly in the mix of Site Allocations. There are more key services available in the Hatton Green area than at
Hatton Park.

Full text:

See attached

Object

Publication Draft

Representation ID: 67145

Received: 24/06/2014

Respondent: Mr Ray Steele

Legally compliant? No

Sound? No

Duty to co-operate? No

Representation Summary:

Since there is not yet an authorised Development Plan IWDC has exceeded their authority in granting planning permission to so many applications that are part of the Local Plan. Suggestions to WDC that these should be withdrawn pending the outcome of the inspection have been ignored

Full text:

see attached

Attachments: