Map 1

Showing comments and forms 481 to 510 of 671

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67827

Received: 12/12/2014

Respondent: Emily Saunders

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67828

Received: 12/12/2014

Respondent: Mr Richard Clark

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67829

Received: 12/12/2014

Respondent: Tunde Agibade

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67830

Received: 12/12/2014

Respondent: Anna Wright

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67831

Received: 12/12/2014

Respondent: Mr Gurjit Singh

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67832

Received: 12/12/2014

Respondent: Mrs Michele Berkley

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67833

Received: 12/12/2014

Respondent: Mrs Shirisha Cherukupalli

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67834

Received: 12/12/2014

Respondent: Mr Roland Young

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67835

Received: 12/12/2014

Respondent: Mrs G A Day

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67836

Received: 12/12/2014

Respondent: Mr & Mrs Scott & Tracey Robbins

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67837

Received: 12/12/2014

Respondent: Mrs Anne Blyth

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67838

Received: 12/12/2014

Respondent: Mr John Berkeley

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67839

Received: 12/12/2014

Respondent: Mrs Vilma Young

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67840

Received: 12/12/2014

Respondent: Mrs Pamela Howlett

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67841

Received: 12/12/2014

Respondent: Mrs Rowena Hogg

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67842

Received: 12/12/2014

Respondent: Mr Andrew Whitehall

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67843

Received: 12/12/2014

Respondent: Miss Carrie Butler

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67844

Received: 12/12/2014

Respondent: Sanjeet Bhachu

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67845

Received: 12/12/2014

Respondent: Jodie Turley

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67846

Received: 12/12/2014

Respondent: Andrea Chinn

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67847

Received: 12/12/2014

Respondent: Mr Peter Butler

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67848

Received: 12/12/2014

Respondent: Miss Annabel Green

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67849

Received: 12/12/2014

Respondent: Mr Robert Bertram

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67850

Received: 12/12/2014

Respondent: Ms Aimee Nicholson

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67851

Received: 12/12/2014

Respondent: Mrs Sarah Bertram

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67852

Received: 12/12/2014

Respondent: Victoria Payne

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67853

Received: 12/12/2014

Respondent: Chantelle Francis

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67854

Received: 12/12/2014

Respondent: Dr Adam Parker

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67855

Received: 12/12/2014

Respondent: Gurj Seehra

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments:

Object

Preferred Options Consultation - Land at Stratford Road, Warwick

Representation ID: 67856

Received: 12/12/2014

Respondent: Sophie Plummer

Representation Summary:

It is by no means certain that the site is actually available and, at the very least, the question of availability is extremely confusing to the public due to lack of information released. WDC has maintained that all parties were supportive of the project and willing to make their land available. However, it is the understanding of CMRA that STW were never made aware of the WDC's intention to include a permanent Gypsy and Traveller site at the bottom of their proposed development of land for economic/commercial us; a letter from STW states their opposition. Unclear as to whether the other landowner has any intention of willingly selling the site and/or developing it himself. If not, CPO would be required which is uncertain,subject to a public inquiry and the timescales variable but would mean the site is not available now. The local authority must be able to demonstrate a compelling case in the public interest which is not the case for 15 families.
No evidence provided that the proposed site would be available, deliverable or viable.
Site requires a significant amount of screening/protection from the main tourist route into Warwick, the M40, the River Avon and the Severn Trent sewage works
It is agricultural land so requires hard surfacing works and connection to utilities
It is in a flood zone area (zones 2 and 3) so requires flood risk mitigation
Existing access roads require improvement to ensure suitability.
Severn Trent will not allow access over their land to the site.
The farm track access would need extensive improvement to meet adoptable standards. Access is needed for emergency vehicles. Access to the farm track requires turning sharply off the A429 Stratford Road close to the M40 Junction 15 with its own safety issues.
Proposed site includes areas classified as Flood Zone 2 and Flood Zone 3a. Government advice states that local authorities should ensure that policies 'do not locate sites in areas at high risk of flooding, including functional floodplains, given the particular vulnerability of caravans'. The report by Brookbanks Consulting does not provide any specific evidence that the flood risk can definitely be eliminated, nor does it estimate costs of implementing mitigation options. WDC cannot be confident that the site is deliverable or viable, or ultimately suitable for residential accommodation. WDC should select an alternative site that is not within a Flood Zone 3.
Locating the site next to the sewage works is against government guidelines.
The SA acknowledges the issue of the site being on a Nitrate Vulnerable Zone 3, but has provided no further guidance on what the realistic contamination risk is. Furthermore, having acknowledged that there will be a loss of Grade 3a agricultural land, the document provides no further information on how this will be mitigated. Therefore the site is not suitable because issues relating to air, water and soil quality have been identified as a serious potential issue with no plans for mitigation in place.
The noise of the M40 can be heard at all times of day, especially during wet weather. The proposed site is closer to the M40 than the extreme edges of Chase Meadow estate so the noise will be intensified.
This problem is important due to the high density of children likely to be on site, living in homes more susceptible to noise pollution.
Do not believe that the noise assessment undertaken can have captured the environmental noise at the proposed site at its worst especially as recordings were limited in time. WDC cannot have the information it needs to take into consideration the full extent of the noise problem. The author of the report uses PPG 24 (Planning Policy Guidance24: Planning and Noise) to measure each site against. This guidance is out of date. The study needs repeating to avoid time-pressured compromises and utilise current guidance. Before considering the proposed site, WDC should provide evidence that there are not alternative quieter sites. If it can provide such evidence, then noise mitigation works would be necessary impacting the commercial viability of the site (estimated costs of mitigation unclear).
The proposed site should be considered unacceptable from a safety point of view due to it being surrounded by:
a sewage works to the north;
a river on its eastern edge
a busy motorway to the south
the busy A429 Stratford Road to the west.
Local environment would make the site potentially very dangerous for children and mitigation in the form of barriers/fences/landscaping would presumably be required on all four sides giving a feeling of an isolated 'secure compound'.
The site would be broadly opposite the 'Tournament Fields' business park development. A significant portion of the site remains undeveloped. Negative publicity will make it even more difficult to effectively market. Given that attracting new businesses has already proven difficult the site could suppress potential demand still further. The proposed development on STW's land for employment/commercial purposes would also, presumably, have reduced ability to attract new businesses.
The development is out of scale with the existing area.
The disturbance/noise from movement of large vehicles would be vastly different from the current quiet, narrow lane.
It is a green field site. Planners should attach weight to "effective use of previously developed brownfield), untidy or derelict land".
The proposed site is graded as agricultural land Grade 3a. This is noted on the SA but no mention of the Government guidance to avoid using such land is made.
WDC is going against planning guidance and its own judgement when selecting the proposed site to hold 15 pitches.
Accessing the site via the farm track off the lane off Stratford Road would place the main next to a Grade 2 listed building (Longbridge Manor). However the SA makes no reference to the possibility of this. If it is a possibility then WDC should have flagged this up for the benefit of local residents.
WDC have run a flawed public consultation process.
A lack of detailed information provided. In a number of fundamental areas the consultation document has no information whatsoever that local residents could use in determining the suitability of the proposed site (for example the impact on local economy), and in other areas WDC has alluded to further updates and reports that have not subsequently been published during the term of the 6-week consultation (for example expected guidance in relation to suitability of site access).
The proposed site was not on the short list in early 2014 but became one of the three 'preferred options' in this final round of consultation. This does not reflect a transparent, logical and democratic process.
Information that has been made available by WDC was, until mid-way through the consultation period, only accessible via a prolonged trawl through various links on the website. This did not constitute effective communication or consultation.
Limited publicity of the consultation period resulted in many local residents being completely unaware of the issue, until local volunteers produced and delivered flyers to local homes to raise awareness.
Two drop in sessions were held during the consultation period, both ending at 18:30pm. This precluded most working residents from attending.
CMRA arranged a public meeting at Aylesford School, Warwick. The WDC executive refused to send any representatives.
The consultation and communication process undertaken by WDC has been wholly inadequate. CMRA feels that the credibility of the public consultation has been seriously undermined and has not been of sufficient quality or rigour to meet the statutory requirements for such an exercise and, has been done in too short a time period.

Full text:

See Attached

Attachments: