Mod 21 - new paras New1.1 to New1.11

Showing comments and forms 1 to 22 of 22

Object

Proposed Modifications January 2016

Representation ID: 68574

Received: 22/04/2016

Respondent: Mr JOHN BOILEAU

Legally compliant? No

Sound? No

Duty to co-operate? No

Representation Summary:

Para 1.1: Thereis no evidence to support this. WDC is seeking to satisfy the Inspector that it is responding where it failed to respond before but the need for WDC to provide housing for Coventry has not been evidenced yet.
Para 1.3 is entirely circular jargon: it means "new jobs will justify new homes which will attract new jobs and a new population to prop up under used services".
Para 1.5: Warwick University is an arrogant body which has by neglecting to provide or police stuident housing caused deep social unhappiness already in Leamington

Full text:

Para 1.1: Thereis no evidence to support this. WDC is seeking to satisfy the Inspector that it is responding where it failed to respond before but the need for WDC to provide housing for Coventry has not been evidenced yet.
Para 1.3 is entirely circular jargon: it means "new jobs will justify new homes which will attract new jobs and a new population to prop up under used services".
Para 1.5: Warwick University is an arrogant body which has by neglecting to provide or police stuident housing caused deep social unhappiness already in Leamington

Object

Proposed Modifications January 2016

Representation ID: 68642

Received: 12/03/2016

Respondent: Mr. Ian Scott

Legally compliant? Not specified

Sound? Not specified

Duty to co-operate? Not specified

Representation Summary:

Issues around allocation of additional housing in Westwood Heath due to increased adverse impacts on road network in vicinity.

Full text:

Any decision to lift Green Belt status on this land and agree planning permission for 425+ homes, initially with more in the future, allied to additional development in Burton Green & Cromwell Lane would be highly irresponsible unless and until substantial new provision was made to accommodate the increase traffic that would result.

Any policy makers should first visit the area and witness the traffic queues that already arise along Westwood Heath Road from Cromwell Lane to Kirby Corner roundabout on weekdays mornings as traffic attempts to access:
* Westwood Business Park
* Cannon Park and the A45
* Warwick University and the Kenilworth Road / A46
Likewise in the evenings, queues form back from Cromwell Lane down Westwood Heath Road as people make journeys back to Balsall Common, Kenilworth or Tile Hill.

You should fully take into account that the road across the University of Warwick campus is now restricted to 20 mph and the frequent stops made buses dropping up 80+ plus students at a time cause tail backs not only along Westwood Heath Road but back up to Cannon Park and the A45.

An alternative access route from Westwood to Kenilworth along Crackley Lane, which is already used a 'rat run' to avoid the University Campus is highly unsuited to an increase in traffic and already dangerous to both vehicular traffic and especially cyclists, due it's narrowness, sharp blind corners, and extensive pot holes especially along the verges that cause cyclists and vehicles to utilise the middle of road resulting in close misses, as I am frequently aware of as both a cyclist and driver.

Any development at Westwood would surely require the widening of Crackley Lane as an absolute minimum.

I would also suggest that the route across Warwick campus would need to be re-considered, removing the 20 mph limit, erecting barriers to protect pedestrians and construction walkways across the road instead of having students walking out in front of vehicles as they do today.

The University also now propose a new Sports complex near Kirby Corner which in itself will result in more traffic in the local area.

Furthermore you should be aware of the frequent instances of 'unlit' student cyclists around Westwood Heath, which would become even more of a danger with a rise in traffic. You may refer to the Police Liaison Team at the University to validate that issue / concern.

Finally I would invite the planners to visit the Banner brook development in Coventry and the surrounding roads where the Massey Ferguson plant once existed, on any weekday morning or evening to witness and experience the traffic congestion that has arisen following a similar large scale housing development with no foresight or appreciation of the impact on local traffic and residents. If residents aren't away from their properties by around 8 am and travelling to Westwood Park / Warwick Uni they might as well stay at home until past 9 am, or sit in a queue for an hour. The same fate would face residents of Westwood and Burton Green.

Yes we are told that new homes are required, but great thought and consideration as the infrastructure required to support such developments must be undertaken.

Object

Proposed Modifications January 2016

Representation ID: 68770

Received: 14/04/2016

Respondent: Christine Kinsella

Legally compliant? Not specified

Sound? Not specified

Duty to co-operate? Not specified

Representation Summary:

Object to proposals: -
- loss of green belt
- low-lying land susceptible to flooding
- sewage works has adverse impacts on residential amenity
- impact of construction traffic over many years
- lack of research on the part of the council

Full text:

I am very worried about the proposed massive development of 4000 houses to be built on King's Hill. This is low-lying green belt land and the major concern for me is the fact that, as the lowest part of Coventry, it is already susceptible to flooding around Finham Brook. So many houses on that land, will cover the earth where drainage would occur, and water draining off houses, paved drives and roads will have nowhere to go. With climate change and increased rainfall, this can only get worse.

Finham Sewage Works treats sewage from Kenilworth and Stoneleigh, as well as the whole of Coventry. As someone who lives in the area, I can tell you that it is not dealing adequately with it now. Certainly, when you walk past, the smell is quite overpowering, and on hot Summer days, the smell reaches the houses in Finham. How is it going to cope with another community of so many extra houses?

There is no convenient access to King's Hill, unless the enclosing roads are widened dramatically. This would destroy ancient protected hedgerows and oak trees. The old Leamington Road already carries a lot of traffic and is completely congested if any of the surrounding trunk roads and motorways are closed, and they frequently are!

The development will take years to be carried out, involving bulldozers and lorries driving up and down narrow roads - a danger to children - while the extra sewage, gas, electricity, telephone, and water services are installed. Then the bricks, slates, insulation etc. necessary to build the houses themselves will need to be ferried in.

A lot of research has been done by the Finham Resident's Association, which I know you have received - in depth, careful research. Can you honestly say that your modifications cover all their objections adequately? I don't want Finham sinking under sea of flood water and sewage in ten years time, when it is too late to do anything about it.

Object

Proposed Modifications January 2016

Representation ID: 68779

Received: 14/04/2016

Respondent: MR ROBERT DONNELLY

Legally compliant? Not specified

Sound? Not specified

Duty to co-operate? Not specified

Representation Summary:

Objects to allocation: -
- impact on natural environment
- impact on historic environment
- flooding
- additional traffic
- adverse impact on existing facilities and services
- threat to Alvis sports club
- loss of landscape and visual amenity
- should look to other sites and promote regeneration

Full text:

King hill is home Badgers,Muntjac deer,Newts that populate the ponds on kings hill and numerous varieties of birds plus a bat colony .
The land contains the sites of a least two ancient Saxon settlements.
The land is prone to high levels of water in parts .
Why would Warwickshire build a stand alone development next door to Coventry AND Coventry allow this to happen if it were not to receive any benefit from it ie council tax. As i see it Finham would be over whelmed with the extra traffic, noise ,schools and medical services unable to cope. Green lane south in particular is no more than a country lane with its protected ancient hedgerow (mentioned in the Doomsday book) running down the road marking the border between the West Midlands and Warwickshire.Why not build onto existing Towns and Villages !!!!!.

The Alvis sports and social club is under threat from housing. The club is home to football teams of all ages young and older. There is a Netball team ,cricket teams and a bowling team plus a dominoes team and pool team.What would happen to this facility which supports the local community. Does health not matter anymore ?.
Kings hill is an area of beauty and should not be lost. It forms a natural screen of Coventry from Warwickshire as you travel along the A46. Houses would destroy this.Other areas should be considered first and foremost before green fields. Regeneration might cost more but would have less impact on the environment in the long term.

Object

Proposed Modifications January 2016

Representation ID: 68952

Received: 20/04/2016

Respondent: Peter Langley

Legally compliant? Not specified

Sound? No

Duty to co-operate? Not specified

Representation Summary:

In new paragraph 1.09, the plan talks about new development enhancing the setting of natural and heritage assets. This is delusional and makes a mockery of what little remains of the plan's environmental credentials.

Full text:

Even though it purports to follow government guidance, the Strategic Housing Market Assessment (SHMA) is not independent and is seriously defective. It has considered only one side of the equation and only those with a vested interest in growth have influenced its findings. Population and household projections have been wrongly used as if they were forecasts. The assumption on headship rates is questionable and the study fails to get to grips adequately with economic issues, commuting, international migration, student needs and affordable housing. Above all, the SHMA acknowledges the high degree of uncertainty about the future but then plumps for a single figure of so-called Objectively Assessed Need (OAN) which is poorly justified. This figure is seriously lacking in credibility. [section 3]

The local authorities in their Memorandum of Understanding have misused the SHMA by adopting the so-called OAN uncritically and indeed adding to it. They have failed to consider whether environmental and other policy factors limit the ability of the area to meet its housing needs. The decisions they have reached about the distribution of housing provision within the housing market area are arbitrary, opaque and extreme, making the proposed plan unsound and unsustainable. The proposal that Warwick District should take the largest share of Coventry's overspill is reckless and wholly unjustified given the Green Belt status of a large part of the district. [section 4]

The Council have failed to demonstrate that nearly 17,000 dwellings can be built in the district by 2029. All the evidence suggests otherwise. Their response to the low level of dwelling completions in the first four years of the plan period is to allocate even more housing, without considering what (if anything) can be done to improve building rates within the existing allocation. As a result, the proposed plan would have a range of undesirable consequences for urban regeneration, vacancy rates and dereliction, commuting, service and infrastructure costs, housing opportunities and loss of Green Belt which neither the Council nor the Sustainability Appraisal have adequately considered. Those negative effects which the Sustainability Appraisal does recognise have played no apparent part in the development of the strategy. Almost half the dwellings to be built on allocated sites are in the Green Belt. The proposed plan is unsustainable and is directly at odds with policy in the National Planning Policy Framework. [sections 5 and 6]

The proposed plan and the cumulative impact of its development proposals would exacerbate problems which the district already faces such as loss of character and environmental quality, traffic congestion and inadequate public transport. Many of the individual housing proposals - particularly those involving substantial loss of Green Belt - cannot be justified and will do great damage. Nearly half of housing development on allocated sites would be in the Green Belt and the proposed plan does not comply with government policy on housing development in the Green Belt. Insufficient consideration has been given to the infrastructure implications of development on such a large scale. [section 7]

The plan is unsound, unsustainable and unworkable. It stems from a deluded view of the growth potential of Coventry and Warwickshire and is contrary to government policy. The plan needs to be fundamentally re-thought and housing provision of between 10,000 and 10,500 dwellings would be much more appropriate and potentially achievable. [section 8]

3. Defects in the Strategic Housing Market Assessment (SHMA)
The SHMA prepared by G L Hearn was intended to be an objective assessment of housing need in Coventry and Warwickshire. While it purports to follow government guidance, it has the following serious defects which fatally undermine its credibility:
* As a general rule, only organisations with a vested interest in increasing housing provision from its already very high level have been consulted. Those able to take a more detached and balanced view were conspicuously excluded. The local authorities themselves have a strong incentive to push house building rates higher and higher thanks to the New Homes Bonus.
* While the terms of reference for the study are reasonably objective, a wealth of e-mail correspondence between the local authorities and the consultants (released under the Freedom of Information Act ) suggests that there was a good deal of manipulation behind the scenes.
* The study rightly uses ONS population and household projections as the baseline for its work, but treats them as if they were forecasts. On the contrary, ONS say ''The population projections have limitations. They are not forecasts (my italics) and do not attempt to predict the impact that future government policies, changing economic circumstances or other factors (for example, government policies on immigration or student fees) might have on demographic behaviour...... As a forecast of the future population they would inevitably be proved wrong, to a greater or lesser extent..... Projections become increasingly uncertain the further they are carried forward into the future'. Hearns have fundamentally erred in treating the projections as forecasts and failing to consider how the policies or other factors that underlie them may change in future. They assume (paragraph 3.34) that uncertainty is mainly attributable to inadequacies in base data, but the effects of future changes in societal trends and public policy are likely to be far more influential. The SHMA never faces up to these issues.
* There is an unexplained anomaly in the use of the projections. The difference from the 2011-based to the 2012-based projections for the HMA is a decrease of 127 dwellings per annum. However, in Hearns' work this results in an increase of between 472 and 572 dwellings per annum . The consultants do not adequately explain this apparent conflict.
* The approach is based on the implicit assumption that new dwellings will meet existing and future housing needs, but this is not the case. Almost 90% of the private housing market involves existing, not new, housing stock. With the exception of starter homes, the great majority of new dwellings are bought by existing home owners. Except in the very long term, prices are insensitive to the volume of new house building and the market is not particularly effective in ensuring that newly arising housing needs are met.
* The study rightly explores a very wide range of scenarios in its attempts to quantify Objectively Assessed Need but fails to critique the underlying methodologies of the different models in which it places its faith. The study plumps for single figures within the range of possible outcomes (often towards the upper end of the range) that are arbitrary or poorly justified. The eventual recommendation that 4,272 dwellings per annum should be built in Coventry and Warwickshire seems to be a black-box generated number instead of being backed up by credible analysis at each step in the process.
* The 'part return to trend' on headship rates is poorly explained and justified. It is far from certain yet whether the cessation of the fall in average household size in recent years is just a 'blip' or the 'new normal' . The factors likely to influence this lead in different directions and give different outcomes. The consultants assume that a reduction in average household size will resume, but there is very little evidence for this;
* The economic forecasts used by Hearns give widely divergent results. The fact that they are based on past development trends is a major weakness, particularly as only a short, probably unrepresentative period has been considered. They also lack explicit assumptions about the productivity relationship between GVA and job growth. Yet the Local Enterprise Partnership is trying to attract high tech and high value added jobs, which would result in a lower number of jobs for a given level of GVA;
* The Strategic Employment Land Study is based on very arbitrary assumptions and data and has not been subjected to critical analysis. The 'talking up' of Coventry's employment prospects in section 4 of the study is very speculative, verging on wishful thinking, and the whole OAN is consistent with a rose-tinted view of economic prospects in Coventry and Warwickshire, bearing in mind past lower than national growth rates and skills shortages . Hearns have suggested upward adjustments to OAN in some areas in relation to economic prospects, but do not seem to have considered downward adjustments in other areas so the analysis is all one way. The equation made between jobs and people is over-simplistic;
* The assumptions about commuting are unrealistic. Commuting patterns change over time and it should be one of the objectives of a plan to reduce longer distance commuting in the interests of sustainability. Conversely however this plan is likely to lead to significant increases in commuting (see Section 6 below). The assumption that the commuting rate will remain as in 2011 is therefore naive and lacks any credibility;
* Much of the increase in population in Coventry over the past ten years or so appears to be related to the growth in student numbers in the city. A huge amount of development of student accommodation has taken place. The SHMA never properly addresses this issue. It fails to consider whether and to what extent these trends are likely to continue into the future; or the extent to which students require separate housing provision (as opposed to living in halls of residence or shared accommodation). Why should there not be a 'partial return to trend' on this issue, as on headship rates?
* International migration is mentioned in section 3, but there is no discussion of whether past trends are likely to continue. The Government is under intense political pressure on this issue and has maintained its target of lowering net in-migration by more than half. The outcome of the EU referendum is also likely to have a bearing on international migration. In recent years, Coventry has taken more than its fair share of in-migrants. There is no reason to think that in-migration to the city can or will continue at anything like recent levels. In Warwick District, net migration (including international migration) has varied greatly from year to year since 1995 and is inherently unpredictable. Also, net migration is influenced by housing and employment provision so there is an element of circularity in any forecast which is based on past trends;
* The relationship between affordable housing and overall housing need is never convincingly established by the study. Affordable housing should be a sub-set of overall need, not an 'add-on', so Hearns' upwards adjustment of OAN to take account of affordability appears unjustified. It is also debatable whether 'affordable housing' is affordable in practice to many new households. There is no evidence that Hearns have taken sufficient account of recent changes in government policy.
To sum up, the SHMA is a seriously flawed piece of work that should not have been used without critical analysis. At best the resultant so-called Objectively Assessed Need is subject to great uncertainty; at worst it is not credible at all.
4. Defects in the Way the SHMA Has Been Interpreted and Used
Government guidance is that Objectively Assessed Need should be a starting point for assessing what housing provision should be. The National Planning Policy Framework (NPPF) recognises that there may be circumstances in which development requirements cannot be met because of the demonstrable lack of environmental capacity.
In a letter in December 2014 , the then minister said 'A Strategic Housing Market Assessment is just the first stage in developing a Local Plan and councils can take account of constraints that indicate that development should be restricted.... The outcome of a Strategic Housing Market Assessment is untested and should not automatically be seen as a proxy for a final housing requirement in Local Plans......Councils will need to consider Strategic Housing Market Assessment evidence carefully and take adequate time to consider whether there are environmental and policy constraints, such as Green Belt, which will impact on their overall final housing requirement.' Unmet needs from neighbouring authorities should be met 'where it is reasonable to do so and consistent with achieving sustainable development' .
The Local Plans Expert Group have drawn attention to a common deficiency in local plans. They conclude that 'despite the clear test set by paragraph 14 of the NPPF, few authorities compile an assessment of the environmental capacity of their area' . They go on to propose that a proportionate Assessment of Environmental Capacity should be an important part of plan making. The local plan making authority should consider the extent to which the plan can meet OAN consistent with the policies of the NPPF.
This type of approach is conspicuously absent in Coventry and Warwickshire. The local authorities in their so-called Memorandum of Understanding and Warwick District Council in its plan have taken a lemming-like approach which is directly at odds with Government policy. They have decided without adequate explanation that Hearn's Objectively Assessed Need of 4,272 dwellings per annum (already an artificially high figure) should be increased still further to a housing target of 4,408. They have then failed to consider whether environmental constraints prevent this new figure being met in its entirety. The Hearn approach and its results have not been subjected to any critical analysis whatsoever and the uncertainty that runs right through the study has simply been ignored. It is sheer folly to pick out a single figure and stick to it come what may. Such an inflexible approach is certain to be found wanting as the implementation of the plan unfolds. Meanwhile a great deal of damage will have been done. The position is even more serious in Warwick because the modification to policy DS20 opens the door for even further housing development in future to meet unspecified housing needs in other areas.
The housing proposals for individual authorities are unjustified, to say the least. Coventry is deemed (without supporting evidence or argument) to be able to accept only 1230 (64%) of its OAN of 1930 per annum. The remaining 700 is distributed (without explanation) between three Warwickshire districts - Nuneaton and Bedworth, Rugby and Warwick. In Warwick's case, this results in proposed housing provision of 18,640 over the full twenty year period to 2031, which is over 55% higher than its own OAN. This is a fundamentally unsustainable and unjustified outcome.
The Warwick Plan gives no explanation of -
a. Why Coventry cannot meet more of its OAN;
b. How the allocation of the excess to other authorities has been decided. The 'redistribution methodology' has not been explained or justified;
c. The account taken of Green Belt, environmental and other policy constraints, both in Coventry and in the surrounding Warwickshire districts, in making this judgement;
d. The wider effects of 'transferring' housing need originating in Coventry to Warwick and other authorities.
The plan also fails to consider the density of new housing development or whether intensification of use of the existing housing stock could be achieved without loss of quality in the urban environment. On most development sites, a density of 35 dwellings per hectare has been automatically assumed, ignoring the variability between sites and their settings and the potential for higher density. By leaving this vital issue unconsidered, the plan fails to provide adequate justification for the link between the vast quantum of new housing development proposed and the huge land area involved.
The Warwick Local Plan is therefore fundamentally unsound and unsustainable, quite apart from its unquestioning reliance on a deeply flawed Strategic Housing Market Assessment. The approach taken is, quite simply, indefensible.
5. Implementation Problems
Government guidance requires the Council to demonstrate the deliverability of the plan . The Council do not seem to have asked themselves whether it is realistic to expect 16,776 dwellings to be built in Warwick District between 2011 and 2029.
The Council claim that 1,483 dwellings were completed in the district during the first four years of the plan period - 2011 to 2015: an average of 371 dwellings per annum. The plan requires an average of 932 dwellings per annum to be built over the full plan period, including those first four years. If dwellings built in the first four years are discounted, the average for the remaining fourteen years rises to 1,092 dwellings per annum, nearly three times the rate achieved in the first four years (during which the economy was growing). It simply cannot be done.
The Housing Trajectory in Appendix A shows very clearly the unreality of what the Council are proposing. Average completions per annum between 2018 and 2022 are assumed to be some 1,730 per annum, nearly five times the rate achieved in the first four years of the plan. The beginning of this period is a mere two years away and the assumption seems to ignore the lead time required to assemble skilled workers on a very large scale.
The plan states that at April 2016 there will be sites with planning permission for 5,161dwellings. It is very difficult to believe that all these permissions will actually be implemented during the plan period, though that is apparently what the plan assumes (in contrast, for example, to the Rugby Local Plan which assumes low take-up of existing permissions). In reality, allocating many more sites is likely to reduce the take-up rate on existing permissions still further. Over-allocation on this scale would effectively destroy the planning strategy because the Council would surrender control to house builders over where and when dwellings would be built. Adding an arbitrary 'element of flexibility' to housing provision , taking it up to a grand total of 17,557 , makes matters even worse.
A figure of 16,776 dwelling completions by 2029 therefore belongs in the realms of fantasy. National and regional studies have shown that the main factor limiting the scale of house building has been the sharp decline in public sector house building. Despite some recent policy announcements, there is little prospect of a significant revival in house building by this sector. Private sector building has been stuck at around 90,000 dwellings per annum nationally since 2008 and the latest RICS survey indicates that growth in private sector house building slowed considerably during the first quarter of 2016. Overall, housing permissions have exceeded starts by about 50,000 dwellings per annum nationally in recent years .
A recent study by The Guardian newspaper showed that the nine largest national house building companies were sitting on planning permissions for 615,000 dwellings. Either they were incapable of building more because of shortages of labour, materials and / or finance; or effective demand is so low that they had no confidence that they could sell houses if they were built, or they chose to limit their output in order to keep house prices artificially high. Some house builders may also see investment in land as an end in itself in view of rising land prices. The truth probably lies in some combination of these factors. House builders have recently been criticised for 'land banking' by the Local Government Association.
So the prospects of 16,776 dwellings being built in Warwick by 2029 are negligible. Even so, house builders continue to press for high levels of provision so that they will have even more scope to pick and choose the sites that will bring them the greatest profits. This is understandable from their point of view, but should never form part of a credible planning strategy.
6. Likely Effects of the Housing Policies
As a result of this serious over-provision, the plan's housing proposals will have a wide range of unintended consequences -
a. The sites that provide developers with the greatest potential profit will tend to be green field sites outside urban areas rather than brownfield sites within them. The momentum behind urban regeneration will therefore be weakened still further and it will become much more difficult to redevelop windfall sites becoming available within the urban area. The Local Plan is right to have made an allowance for windfalls, but the more green field sites they allocate for housing development, the more difficult it will become to benefit from windfall sites;
b. Over-provision of housing can be expected to accelerate vacancy rates, dereliction and decay in the existing stock, particularly in the more marginal housing areas;
c. The displacement of housing from Coventry into Warwickshire will increase longer-distance commuting and lead to greater car dependency. No proper analysis has been done of this vital aspect of the proposals, least of all by the Sustainability Appraisal. Can the road and public transport systems cope with the extra traffic and passengers? With many roads, particularly in the towns of Warwick, Leamington Spa and Kenilworth, close to or above capacity already, the strong suspicion must be that the Warwick plan is unsustainable in transport terms. Where new roads or improvements to existing roads are proposed, insufficient information is given to demonstrate their financial viability or effectiveness in dealing with congestion;
d. A more dispersed pattern of development will lead to higher service and infrastructure costs once existing capacity thresholds have been exceeded, and will divert severely limited public sector resources away from renewal of services and infrastructure within existing urban areas . Developer contributions are rarely sufficient to provide necessary supporting services and facilities in their entirety;
e. Provision at a level not supported by effective demand is particularly destructive of the housing opportunities available to newer, younger and less well-off households: those most likely to be in housing need. New housing will overwhelmingly not be purchased by newer households. It is not valid to assume that a glut of new housing will result in lower prices all round, making the existing stock more affordable to those in housing need. In practice new homes are generally such a small proportion of the total housing stock that they do not have a significant lowering effect on prices;
f. Very substantial areas of Green Belt will be lost, compounded by losses for other purposes such as the sub-regional employment site. Proposed housing development in the plan accounts for some 500 hectares of Green Belt land and much of this is in strategically significant areas where the Green Belt performs vital functions, meeting all or most of the five purposes of Green Belt. It is very revealing that the plan does not make clear that meeting housing needs is not sufficient on its own to constitute the very special circumstances needed to justify inappropriate development in the Green Belt (see below) and that it generally ignores the recommendations of the Joint Green Belt Study;
g. Rigid adherence to forecasts gives only the illusion of certainty, inhibiting necessary adaptations to new problems and unforeseen opportunities . Warwick and the other Coventry and Warwickshire authorities have chosen to adopt a particularly rigid and unresponsive interpretation of present government policy and their proposals are therefore doomed to fail in practice.
These potential impacts of the Warwick Plan's housing proposals render the plan unsustainable and therefore not in compliance with government policy in the National Planning Policy Framework.
In particular, the plan fails to give sufficient weight to two key aspects of government policy:
a. That the presumption in favour of sustainable development does not apply in the Green Belt ;
b. That need for housing will rarely be sufficient to constitute the very special circumstances required for inappropriate development in the Green Belt. In July 2013, Local Government Minister Brandon Lewis said that 'The single issue of unmet demand....is unlikely to outweigh harm to the green belt and other harm to constitute the 'very special circumstances' justifying inappropriate development in the green belt' This was followed by a DCLG policy statement in October 2014 - 'the local planning authority should prepare a strategic housing land availability assessment to establish realistic assumptions about the availability....of land...and take account of any constraints such as green belt which indicate that development should be restricted and which may restrain the ability of an authority to meet its need . This was in turn reflected in Planning Practice Guidance . Yet Warwick District Council, along with the other Coventry and Warwickshire authorities, seems to have ignored this very important element of government policy .
The Sustainability Appraisal has been updated to reflect the latest modifications to the plan and specifically the huge uplift in housing numbers. However it suffers from a major weakness: that it treats the Strategic Housing Market Assessment and the local authority Memorandum of Understanding as givens without subjecting them to sustainability appraisal in their own right. In general it does not apply sufficiently rigorous analysis and places exaggerated faith in mitigation measures. It plays down some negative effects because of uncertainty about the exact form development will take. It also makes some very questionable individual assessments - for example that the effect of high growth on public transport and community services and facilities will be positive, when experience suggests that provision of these facilities and services almost invariably lags well behind housing development, particularly when it takes place as rapidly as is envisaged in this plan. A positive assessment of the high growth options against 'reduce need to travel' also seems fundamentally misguided when such a high proportion of the proposed development involves meeting Coventry's housing needs in Warwick District.
Impact on the Green Belt should have featured as one of the sustainability criteria used to appraise the plan and its policies. Green Belt is simply subsumed within the much wider criterion of 'Prudent Use of Land and Natural Resources' and it tends to get lost in the process. The appraisal frequently pulls its punches, talking for example about the potential for the loss of Green Belt when the strategy entails certainty of massive Green Belt loss.
Nevertheless the Sustainability Appraisal finds that the two high growth options (900 and 1,000 houses per annum) would have negative effects in relation to six of the sustainability criteria used to assess options. This conclusion is effectively ignored in the plan itself and there is no evidence that it has played any part in the development of the strategy. The Council have wrongly assumed that they have no alternative but to meet so-called Objectively Assessed Need in full, plus the huge uplift to meet Coventry's excessive housing needs.
7. Comments on Specific Housing Policies and Proposals and their Justification
My calculations suggest that some 4,575 (49%) of the new dwellings on specifically allocated sites would be in the Green Belt. This is a staggering figure which cannot possibly be reconciled with Government policy as described above. It is difficult to imagine why Warwick District Council, given the large amount of its land area subject to Green Belt policy, agreed to accept by far the largest individual proportion of Coventry's overspill (6,640 dwellings). On the basis of conflict with government policy and the need to preserve a strong Green Belt to secure the continued separation of the towns in the district from each other and from Coventry, I object to all the locations for housing development listed in paragraph 2.81 as having been removed from the Green Belt.
My comments on selected proposals are as follows:
* Kings Hill (H43) - This development would be a huge and totally unwarranted projection of the built-up area of Coventry into the Green Belt and open countryside south of the city. It would doubtless be followed soon afterwards by an application for a boundary revision to extend the city's area. This is an area of good quality landscape which makes an important contribution to the role of the Green Belt in separating Coventry from Kenilworth. The proposal relies heavily on a new railway station and roads but given the long delay in securing reopening of Kenilworth station there can be no guarantee that a station at Kings Hill will be open before development takes place.
* East of Kenilworth (H40) - This long swathe of development would close the Green Belt gap which currently exists between the built-up area of the town and the A46. On rising ground, the development would be very visible from countryside to the east near Ashow and the National Agricultural Centre.
* North of Milverton (H44) - This would constitute a substantial northward extension of Leamington Spa into the Green Belt, bringing it significantly closer to coalescence with Kenilworth. The safeguarding of a large area of additional land for future development makes the present proposal just the thin end of the wedge. The explanation talks blithely about dualling the A452 but this is unlikely to be feasible within the existing built-up area of Leamington and may not be affordable in any case.
* Baginton (H19) - The Rosswood Farm site, almost in line with the airport runway, seems particularly ill chosen from the point of view of noise, air pollution and air safety.
* Barford (H48 et al) - The cumulative impact of these developments would be expected to have a substantial impact on the character of the village.
* Bishops Tachbrook (H49 and H23) - Taken together, development of these sites could be expected to have a profound effect on the character of the village and would involve projections into open countryside to the west and south.
* Cubbington (H50) - A substantial projection of development into pleasant open countryside east of the village.
* Hampton Magna (H51 and H27) - Taken together, these developments would represent a huge extension of the village into Green Belt and open countryside to the south and east, changing the character of the village in the process.
* Leek Wootton (DS NEW 3) - Although a minority of the site was already developed, this does not justify the proposal, which forms a very substantial westward extension of the village into open countryside and Green Belt.
* Whitnash (H-03) - Whitnash is already a peculiarly shaped and poorly accessed urban extension. This large development will add an extension to the extension, taking the village across the railway to the east and making it stick out even more like a sore thumb. It is noticeable that there is no proposal for a railway station to serve it.

Policy DS New 1 includes vague criteria for allocating land for housing south of Warwick. It is wrong in principle to consult without more clear-cut proposals, leaving local people and interest groups in a position of great uncertainty.
The plan is far too deferential towards the growth aspirations of Warwick University. The plan should not give the university carte blanche to do whatever it wishes to do, but that in effect is what is proposed.
A general problem is the heavy reliance on master planning for comprehensive development of the larger proposed housing sites. This will make it even less likely that the housing proposals will be implemented on anything like the timescale envisaged in the housing trajectory, particularly where land is in multiple ownership.
In new paragraph 1.09, the plan talks about new development enhancing the setting of natural and heritage assets. This is delusional and makes a mockery of what little remains of the plan's environmental credentials.
New paragraphs 2.1 to 2.43 talk about taking land out of the Green Belt so that it can be safeguarded for possible future development. In relation to government policy, there is even less of a case for this than where development is claimed to be needed during the plan period, and I have already shown that the latter is contrary to government policy.
I have not found a policy directed towards controlling or influencing the types and sizes of dwelling to be constructed in the district. This plan seems to treat planning for housing as no more than a numbers game and in doing so it ignores government policy that the nature of new housing is important .
8. Conclusions
The housing proposals in the emerging Warwick Local Plan are unworkable, unsustainable, contrary to key elements of Government policy and against the interests of residents of the borough. They are deluded and unsound. They stem from a fundamentally misconceived growth-orientated strategy that reflects wishful thinking about the economic prospects of the sub-region by the Local Enterprise Partnership and the Coventry and Warwickshire local authorities compounded by some far from independent technical work of questionable quality to support it. The proposals give minimal weight to the environment and character of the district, which have hitherto been cornerstones of successive plans. They will result in the Council effectively abandoning control over planning for housing and in a significant reduction in environmental quality.
Much of the problem with the housing strategy stems from Coventry's overweening growth aspirations, which result in dumping large quantities of housing and employment development on neighbouring local authorities. This is counter-productive, unsustainable and unachievable. If Coventry cannot live within its means, it should not simply decant large-scale development to neighbouring authorities with no thought for the consequences..
The question of what would be a realistic and achievable level of housing provision for Warwick between 2011 and 2029 is a matter of judgement rather than calculation. Taking into account all the factors discussed in this Critique, my view is that provision of between 10,000 and 10,500 dwellings would be appropriate. This would have a good prospect of being achieved and would meet the reasonable housing needs of the district, as opposed to the inflated figure assessed by G L Hearn and the huge additional uplift provided through overspill from Coventry. Provision at this level would allow a much higher proportion of development to be on brownfield sites within the urban area (including windfalls) and would require little or no release of Green Belt land for housing.

Object

Proposed Modifications January 2016

Representation ID: 69037

Received: 12/04/2016

Respondent: Baginton Parish Council

Legally compliant? No

Sound? No

Duty to co-operate? Not specified

Representation Summary:

Proposed development unsustainable - inadequate infrastructure and transport networks
Commuting likely to be towards Coventry to north or east to sub-regional site - insufficient account taken of vehicle movements affecting surrounding area
While some mitigation proposed but it would not support commuting north / east

Full text:

See attached

Attachments:

Support

Proposed Modifications January 2016

Representation ID: 69086

Received: 21/04/2016

Respondent: Environment Agency

Representation Summary:

Section 1.8
The Finham Brook, a designated Main River flows through the King's Hill site H43 near the southern boundary. We would support proposals to create land for open space and this should be linked in to the provision of green and blue infrastructure. Every opportunity should be taken to create additional flood storage to reduce the risk of flooding elsewhere.

Full text:

See attached

Object

Proposed Modifications January 2016

Representation ID: 69101

Received: 21/04/2016

Respondent: Mr. Paul Wood

Legally compliant? Not specified

Sound? Not specified

Duty to co-operate? Not specified

Representation Summary:

The proposals would mean an equivalent number of houses of twice as many as are already in the Finham area of Coventry. This would need a large increase in the water treatment plant capacity.

Coventry is already densely populated, to propose this many new dwellings concentrated in one area will greatly exacerbate the situation.

There is no allowance for any green belt land between the two housing areas.
It seems a hurriedly prepared plan with no in depth study to its overall effects and with little time for proper public consultation.

Full text:

see attched

The proposals would mean an equivalent number of houses of twice as many as are already in the Finham area of Coventry. This would need a large increase in the water treatment plant capacity.

Coventry is already densely populated, to propose this many new dwellings concentrated in one area will greatly exacerbate the situation.

There is no allowance for any green belt land between the two housing areas.
It seems a hurriedly prepared plan with no in depth study to its overall effects and with little time for proper public consultation.

Attachments:

Object

Proposed Modifications January 2016

Representation ID: 69175

Received: 22/04/2016

Respondent: Lioncourt Strategic Land - Andy Faizey

Agent: Savills

Legally compliant? Yes

Sound? No

Duty to co-operate? Not specified

Representation Summary:

Query how sites within the boundary of the City of Coventry will benefit "from a key set of objectives" (New Para 1.4) a where there are separate plans and policies in force. Greater clarity required on how Warwick DC will facilitate ongoing discussions regarding infrastructure provision with Coventry City Council, outside Memorandum of Understanding.
New Paragraph 1.10 confirms that proposals for Kings Hill will need to accord with the requirements of all other relevant policies in the Local Plan. Have undertaken a review of the Submitted Policies dated February 2015 as part of consultation response.

Full text:

see attached

Attachments:

Object

Proposed Modifications January 2016

Representation ID: 69259

Received: 22/04/2016

Respondent: CEG Steel/Pittaway

Agent: Nexus Planning

Legally compliant? No

Sound? No

Duty to co-operate? Not specified

Representation Summary:

S1 could come forward as part of a comprehensive development with site H42, delivering up to 1,500 dwellings and at least 425 dwellings within the Plan period. This would not address all development pressures south of Coventry and should be seen an initial phase of wider development growth.
WDC should prepare an Area Action Plan (AAP) for the wider area south of Coventry, rather than dealing with it through a partial review of the Local Plan. The broad area could be referenced in the Local Plan with the exact extent determined through the preparation of the AAP itself

Full text:

see attached

Attachments:

Object

Proposed Modifications January 2016

Representation ID: 69356

Received: 15/04/2016

Respondent: Crest Strategic Projects Limited

Agent: d2planning

Legally compliant? No

Sound? No

Duty to co-operate? Not specified

Representation Summary:

Crest note the various requirements that will need to be considered as part of the proposed development. Firstly, they note the phrase 'as a minimum'. It is considered that such a phrase leads to uncertainty and that the list should be either expanded to include additional issue or the phrase deleted.
With regards the identified list, Crest has no objection to the matters that need to be considered.

Full text:

See attached

Support

Proposed Modifications January 2016

Representation ID: 69403

Received: 21/04/2016

Respondent: Environment Agency

Representation Summary:

We have carefully reviewed the modifications proposed within the document based on the Planning Inspectors Interim Report and we find the it meets the tests of soundness:
We agree that the plan is positively prepared, justified, effective and consistent with national policy with the proposed modifications.
We have the following comments to make:
Modification 21 - Section 1.8
The Finham Brook, a designated Main River flows through the King's Hill site H43 near the southern boundary. We would support proposals to create land for open space and this should be linked in to the provision of green and blue infrastructure. Every opportunity should be taken to create additional flood storage to reduce the risk of flooding elsewhere.

Full text:

We have carefully reviewed the modifications proposed within the document based on the Planning Inspectors Interim Report and we find the it meets the tests of soundness:
We agree that the plan is positively prepared, justified, effective and consistent with national policy with the proposed modifications.
We have the following comments to make:
Modification 15
We support the wording of the proposed modification. Modification 21 - Section 1.8
The Finham Brook, a designated Main River flows through the King's Hill site H43 near the southern boundary. We would support proposals to create land for open space and this should be linked in to the provision of green and blue infrastructure. Every opportunity should be taken to create additional flood storage to reduce the risk of flooding elsewhere. Ammendments to Policy DS11 Paragraph 2.4.1
We note that sites were assessed for their suitability against the SFRA Level 1. Warwick District Council's SFRA is dated April 2013 and we recommend that it is updated to take into account changes in Policy (NPPF) and the revised climate
change allowances. The Environment Agency updated their guidance on how climate change could affect flood risk to new developments - 'Flood risk assessments: climate change allowances' published on gov.uk on 19th February and came into immediate effect.
The update is based new scientific evidence. The main changes are to the peak river flow allowances. We are currently preparing new guidance which can be appended to the SFRA before the examination of the Local Plan is resumed.

Attachments:

Support

Proposed Modifications January 2016

Representation ID: 69704

Received: 21/04/2016

Respondent: Woodland Trust

Representation Summary:

We are pleased to see Wainbody Wood excluded from development in new paragraph 1.09 of modification 21 and protected from associated impacts and would like to see this cross referenced to modifications 16 and PM36.

Full text:

See attached
Appendix 1

Ancient Woodland

As the UK's leading woodland conservation charity, the Trust aims to protect native woods, trees and their wildlife for the future. Through the restoration and improvement of woodland biodiversity and increased awareness and understanding of important woodland, these aims can be achieved. We own over 1,250 sites across the UK, covering around 23,000 hectares (57,000 acres) and we have 500,000 members and supporters.

Ancient woodland is defined as an irreplaceable natural resource that has remained constantly wooded since AD1600. The length at which ancient woodland takes to develop and evolve (centuries, even millennia), coupled with the vital links it creates between plants, animals and soils accentuate its irreplaceable status. The varied and unique habitats ancient woodland sites provide for many of the UK's most important and threatened fauna and flora species cannot be re-created and cannot afford to be lost. As such, the Woodland Trust aims to prevent the damage, fragmentation and loss of these finite irreplaceable sites from any form of disruptive development.

The Trust is concerned about a number of site allocations included in the Warwickshire Local Plan as they could lead to the damage and loss of ancient woodland.

Planning policy

National Planning Policy Framework (NPPF) paragraph 118 states that "planning permission should be refused for development resulting in the loss or deterioration of irreplaceable habitats, including ancient woodland and the loss of aged or veteran trees found outside ancient woodland, unless the need for, and benefits of, the development in that location clearly outweigh the loss."
Emerging national policy is increasingly supportive of absolute protection of ancient woodland and ancient trees. The Communities and Local Government (CLG) Select Committee published its report following its June 2014 inquiry into the 'Operation of the National Planning Policy Framework (NPPF)', in which it has specifically recognised the need for better protection for ancient woodland (Tues 16th Dec 2014). The CLG Select Committee report states: 'We agree that ancient woodland should be protected by the planning system. Woodland that is over 400 years old cannot be replaced and should be awarded the same level of protection as our built heritage. We recommend that the Government amend paragraph 118 of the NPPF to state that any loss of ancient woodland should be "wholly exceptional". We further recommend that the Government initiate work with Natural England and the Woodland Trust to establish whether more ancient woodland could be designated as sites of special scientific interest and to consider what the barriers to designation might be.' http://www.publications.parliament.uk/pa/cm201415/cmselect/cmcomloc/190/190.pdf.
This shows a clear direction of travel, recognising that the NPPF does not currently provide sufficient protection for ancient woodland. Until the NPPF is amended there is a clear role for Local Plans and associated documents to provide this improved level of protection and to ensure that irreplaceable habitats get the same level of protection as heritage assets enjoy under the NPPF.
This recommendation should also be considered in conjunction with other - stronger - national policies on ancient woodland and ancient trees-
* The Government's policy document 'Keepers of Time - A statement of Policy for England's Ancient & Native Woodland' (Defra/Forestry Commission, 2005, p.10) states: 'The existing area of ancient woodland should be maintained and there should be a net increase in the area of native woodland'. 'Keepers of Time' (Defra, 2005) - now re-affirmed in the Government's Forestry Policy Statement - also requires that: 'Ancient and native woodland and trees should make an increasing contribution to our quality of life....Take steps to avoid losses of ancient woodland and of ancient and veteran trees' (P.10/11).
* The Government's Independent Panel on Forestry states: 'Government should reconfirm the policy approach set out in the Open Habitats Policy and Ancient Woodland Policy (Keepers of Time - A statement of policy for England's ancient and native woodland).....Reflect the value of ancient woodlands, trees of special interest, for example veteran trees, and other priority habitats in Local Plans, and refuse planning permission for developments that would have an adverse impact on them.' (Defra, Final Report, July 2012). This has been endorsed by the response in the Government Forestry Policy Statement (Defra Jan 2013): 'We recognise the value of our native and ancient woodland and the importance of restoring open habitats as well as the need to restore plantations on ancient woodland sites. We, therefore, confirm our commitment to the policies set out in both the Open Habitats Policy and Keepers of Time, our statement of policy for England's ancient and native woodland'.
* The Government's Natural Environment White Paper - The Natural Choice: securing the value of nature (HM Government, July 2011, para 2.56) states that: 'The Government is committed to providing appropriate protection to ancient woodlands....'.

* The Biodiversity Strategy for England (Biodiversity 2020: A Strategy for England's Wildlife & Ecosystem Services, Defra 2011, see 'Forestry' para 2.16) states that - 'We are committed to providing appropriate protection to ancient woodlands and to more restoration of plantations on ancient woodland site'.
There is increasing evidence of other local authorities supporting absolute protection of ancient woodland in their LDF planning documents -

North Somerset Council Core Strategy Adopted April 2012 -
'Policy CS4: Nature conservation
North Somerset contains outstanding wildlife habitats and species. These include limestone grasslands, traditional orchards, wetlands, rhynes, commons, hedgerows, ancient woodlands and the Severn Estuary. Key species include rare horseshoe bats, otters, wildfowl and wading birds, slow-worms and water voles.
The biodiversity of North Somerset will be maintained and enhanced by:...
3) seeking to protect, connect and enhance important habitats, particularly designated sites, ancient woodlands and veteran trees'.
South Ribble Borough Council Local Plan 2012 - 2026 (Adopted July 2015)
Policy G13-Trees, Woodlands and Development
a) Planning permission will not be permitted where the proposal adversely affects trees, woodlands and hedgerows which are:
i Protected by a Tree Preservation Order (TPO);
ii Ancient Woodlands including individual ancient and veteran trees and those defined in Natural England's inventory of ancient woodlands;
ii In a Conservation Area; or
iv Within a recognised Nature Conservation Site.
10.73 Ancient Woodlands (woodlands which have been continuously wooded since 1600AD) are particularly important for their flora, fauna and their undisturbed soil and drainage patterns. It is essential that Ancient Woodlands are protected from the adverse effects of development since they are an irreplaceable asset.
10.74 Trees in Conservation Areas also make a special contribution and enhance the environmental quality of these areas. Such trees are protected under the Planning (Listed Buildings and Conservation Areas) Act 1990. Six weeks prior written notice must be given to the local planning authority of any intended works to the trees. This will enable the Council to make a Tree Preservation Order if the proposed works are unacceptable and detrimental to the character of the Conservation Area. The Council wishes to encourage the planting of native tree and hedgerow species, where trees are characteristic of the landscape and are beneficial to wildlife
The Bristol City Council - Site Allocations and Development Management Policies (Adopted July 2014) [part of Local Plan) states that
Policy DM17: Development Involving Existing Green Infrastructure
"Trees
All new development should integrate important existing trees. Development which would result in the loss of Ancient Woodland, Aged trees or Veteran trees will not be permitted".
Torbay Local Plan (adopted December 2015) Policy C4 - Trees, hedgerows and natural landscape features
"Development will not be permitted when it would seriously harm, either directly or indirectly, protected or veteran trees, hedgerows, ancient woodlands or other natural features of significant landscape, historic or nature conservation value".


In addition Policy NE2 Protecting Designated Biodiversity and Geodiversity Assets of the Warwick DC Local Plan Submission version (sub para a) also provides protection for ancient woodland and veteran trees.


Natural England's standing advice for Ancient Woodland and Veteran Trees (published April 2014), paragraph 4.8.1 states: 'Ancient woodland is of prime ecological and landscape importance, providing a vital part of a rich and diverse countryside. In particular, ancient woodland:

* is exceptionally rich in wildlife, and supports many rare and threatened species;
* may contain surviving descendants and features from the original natural forests;
* acts as reservoirs from which wildlife can spread into new woodlands;
* has valuable soils due to their undisturbed nature;
* is an integral part of England's historic landscapes and the biological and visual functioning of a landscape;
* contains a wealth of features of historical and archaeological importance little altered by modern cultivation or disturbance;
* contributes to people's sense of place and imagination.'

Impacts on ancient woodland

Approximately one quarter of priority UK BAP species are associated with woodland habitats. Forests, woods, and trees make a significant contribution to biodiversity, and ancient sites are recognised as being of particular value. Due to their longevity, ancient woodlands are more species rich, and are often refuges for specialist woodland species that struggle to colonise new areas.

Woodland wildlife populations are exposed to damaging external impacts from outside the woodland site. Intensity of land use adjacent to ancient woodland results in an increase in these external impacts, otherwise known as 'edge effects'. Detrimental edge effects have been shown to penetrate woodland causing changes in ancient woodland characteristics that extend up to three times the canopy height in from the forest edges.

Creation of new areas of woodland or buffer zones around semi-natural habitats, and more particularly ancient woodland, will help to reduce and ameliorate the impact of damaging edge effects, serving to improve their sustainability. The size of the buffer is dependent on the intensity of land use in the intervening matrix between ancient woods.

Natural England's standing advice for Ancient Woodland and Veteran Trees, paragraph 6.4, highlights the importance of keeping development away from ancient woodland and buffering it where necessary:

"Development must be kept as far as possible from ancient woodland, with a buffer area maintained between the ancient woodland and any development boundary. An appropriate buffer area will depend on the local circumstances and the type of development. In a planning case in West Sussex the Secretary of State supported the arguments for a 15m buffer around the affected ancient woodland, but larger buffers may be required."

The size of a number of the site allocations suggests that large scale development could potentially take place. The minimum 15m buffer recommendation to all development is not effective in ensuring that ancient woodland within and/or adjacent to site allocations is not affected by potential future development. Buffers should be constructed on a case-by-case basis rather than a 'one size fits all' approach.

The Woodland Trust is particularly concerned about the following:

* Disturbance by noise, light, trampling and other human activity;
* Fragmentation as a result of the destruction of adjacent semi-natural habitats;
* Development providing a source of non-native plants and aiding their colonisation;
* Where the wood edge overhangs gardens, branches and even whole trees can be indiscriminately lopped/felled, causing reduction of the woodland canopy;
* There will inevitably be safety issues in respect of trees adjoining public areas and buildings, which will be threatening to the longer-term retention of such trees;
* There can be changes to the hydrology altering ground water and surface water quantities. Also the introduction of water run offs from urban development will result in changes to the characteristics and quality of the surface water as a result of pollution/contamination etc.

The close proximity of a large development to ancient woodland and ancient trees could have numerous adverse impacts on the health of the site.

In order to protect the site's fauna and flora from exposure to edge effects it is necessary to implement a buffer zone. A buffer is a landscape feature used to protect sensitive areas from the impacts of development (or other harmful neighbouring land use). The buffer could be planted with trees or shrubs or it could be an area of land which the development is not allowed to encroach upon (e.g. a grassy strip).

Buffers should be designed on a case by case basis, and depend on a variety of factors, such as number of houses, alternative areas of green space available, layout of the development, etc. The Trust recommends that a buffer of at least 15m is implemented between the proposed development and ancient woodland. This buffer should consist of 50% planting of semi-natural vegetation.

The implementation of a buffer consisting of hawthorn would help to prevent edge effects and garden-related problems from arising by preventing encroachment on to our site. Alternatively a grassy strip would also serve an important purpose as it will help to separate the woodland from development and encourage a phased habitat to the woodland edge.

It should be noted that gardens of adjacent housing must not be included within buffer zones as there is limited control over how they may be used, or developed in the future; for example, they might be paved or decked without the need for planning permission or they may include inappropriate species which could integrate themselves into our site. Further to this the Trust recommends that gardens of houses are not backed on to our site as they result in the increase of garden-related problems for adjacent wooded areas, i.e. waste tipping, littering, spreading of invasive and non-native plants species, disturbance, pet intrusion, etc.

Object

Proposed Modifications January 2016

Representation ID: 69709

Received: 21/04/2016

Respondent: Woodland Trust

Legally compliant? Yes

Sound? No

Duty to co-operate? Not specified

Representation Summary:

We would like to see new Paragraph 1.09 exclude ALL ancient woodland from development - see Appendix 1.

Full text:

See attached
Appendix 1

Ancient Woodland

As the UK's leading woodland conservation charity, the Trust aims to protect native woods, trees and their wildlife for the future. Through the restoration and improvement of woodland biodiversity and increased awareness and understanding of important woodland, these aims can be achieved. We own over 1,250 sites across the UK, covering around 23,000 hectares (57,000 acres) and we have 500,000 members and supporters.

Ancient woodland is defined as an irreplaceable natural resource that has remained constantly wooded since AD1600. The length at which ancient woodland takes to develop and evolve (centuries, even millennia), coupled with the vital links it creates between plants, animals and soils accentuate its irreplaceable status. The varied and unique habitats ancient woodland sites provide for many of the UK's most important and threatened fauna and flora species cannot be re-created and cannot afford to be lost. As such, the Woodland Trust aims to prevent the damage, fragmentation and loss of these finite irreplaceable sites from any form of disruptive development.

The Trust is concerned about a number of site allocations included in the Warwickshire Local Plan as they could lead to the damage and loss of ancient woodland.

Planning policy

National Planning Policy Framework (NPPF) paragraph 118 states that "planning permission should be refused for development resulting in the loss or deterioration of irreplaceable habitats, including ancient woodland and the loss of aged or veteran trees found outside ancient woodland, unless the need for, and benefits of, the development in that location clearly outweigh the loss."
Emerging national policy is increasingly supportive of absolute protection of ancient woodland and ancient trees. The Communities and Local Government (CLG) Select Committee published its report following its June 2014 inquiry into the 'Operation of the National Planning Policy Framework (NPPF)', in which it has specifically recognised the need for better protection for ancient woodland (Tues 16th Dec 2014). The CLG Select Committee report states: 'We agree that ancient woodland should be protected by the planning system. Woodland that is over 400 years old cannot be replaced and should be awarded the same level of protection as our built heritage. We recommend that the Government amend paragraph 118 of the NPPF to state that any loss of ancient woodland should be "wholly exceptional". We further recommend that the Government initiate work with Natural England and the Woodland Trust to establish whether more ancient woodland could be designated as sites of special scientific interest and to consider what the barriers to designation might be.' http://www.publications.parliament.uk/pa/cm201415/cmselect/cmcomloc/190/190.pdf.
This shows a clear direction of travel, recognising that the NPPF does not currently provide sufficient protection for ancient woodland. Until the NPPF is amended there is a clear role for Local Plans and associated documents to provide this improved level of protection and to ensure that irreplaceable habitats get the same level of protection as heritage assets enjoy under the NPPF.
This recommendation should also be considered in conjunction with other - stronger - national policies on ancient woodland and ancient trees-
* The Government's policy document 'Keepers of Time - A statement of Policy for England's Ancient & Native Woodland' (Defra/Forestry Commission, 2005, p.10) states: 'The existing area of ancient woodland should be maintained and there should be a net increase in the area of native woodland'. 'Keepers of Time' (Defra, 2005) - now re-affirmed in the Government's Forestry Policy Statement - also requires that: 'Ancient and native woodland and trees should make an increasing contribution to our quality of life....Take steps to avoid losses of ancient woodland and of ancient and veteran trees' (P.10/11).
* The Government's Independent Panel on Forestry states: 'Government should reconfirm the policy approach set out in the Open Habitats Policy and Ancient Woodland Policy (Keepers of Time - A statement of policy for England's ancient and native woodland).....Reflect the value of ancient woodlands, trees of special interest, for example veteran trees, and other priority habitats in Local Plans, and refuse planning permission for developments that would have an adverse impact on them.' (Defra, Final Report, July 2012). This has been endorsed by the response in the Government Forestry Policy Statement (Defra Jan 2013): 'We recognise the value of our native and ancient woodland and the importance of restoring open habitats as well as the need to restore plantations on ancient woodland sites. We, therefore, confirm our commitment to the policies set out in both the Open Habitats Policy and Keepers of Time, our statement of policy for England's ancient and native woodland'.
* The Government's Natural Environment White Paper - The Natural Choice: securing the value of nature (HM Government, July 2011, para 2.56) states that: 'The Government is committed to providing appropriate protection to ancient woodlands....'.

* The Biodiversity Strategy for England (Biodiversity 2020: A Strategy for England's Wildlife & Ecosystem Services, Defra 2011, see 'Forestry' para 2.16) states that - 'We are committed to providing appropriate protection to ancient woodlands and to more restoration of plantations on ancient woodland site'.
There is increasing evidence of other local authorities supporting absolute protection of ancient woodland in their LDF planning documents -

North Somerset Council Core Strategy Adopted April 2012 -
'Policy CS4: Nature conservation
North Somerset contains outstanding wildlife habitats and species. These include limestone grasslands, traditional orchards, wetlands, rhynes, commons, hedgerows, ancient woodlands and the Severn Estuary. Key species include rare horseshoe bats, otters, wildfowl and wading birds, slow-worms and water voles.
The biodiversity of North Somerset will be maintained and enhanced by:...
3) seeking to protect, connect and enhance important habitats, particularly designated sites, ancient woodlands and veteran trees'.
South Ribble Borough Council Local Plan 2012 - 2026 (Adopted July 2015)
Policy G13-Trees, Woodlands and Development
a) Planning permission will not be permitted where the proposal adversely affects trees, woodlands and hedgerows which are:
i Protected by a Tree Preservation Order (TPO);
ii Ancient Woodlands including individual ancient and veteran trees and those defined in Natural England's inventory of ancient woodlands;
ii In a Conservation Area; or
iv Within a recognised Nature Conservation Site.
10.73 Ancient Woodlands (woodlands which have been continuously wooded since 1600AD) are particularly important for their flora, fauna and their undisturbed soil and drainage patterns. It is essential that Ancient Woodlands are protected from the adverse effects of development since they are an irreplaceable asset.
10.74 Trees in Conservation Areas also make a special contribution and enhance the environmental quality of these areas. Such trees are protected under the Planning (Listed Buildings and Conservation Areas) Act 1990. Six weeks prior written notice must be given to the local planning authority of any intended works to the trees. This will enable the Council to make a Tree Preservation Order if the proposed works are unacceptable and detrimental to the character of the Conservation Area. The Council wishes to encourage the planting of native tree and hedgerow species, where trees are characteristic of the landscape and are beneficial to wildlife
The Bristol City Council - Site Allocations and Development Management Policies (Adopted July 2014) [part of Local Plan) states that
Policy DM17: Development Involving Existing Green Infrastructure
"Trees
All new development should integrate important existing trees. Development which would result in the loss of Ancient Woodland, Aged trees or Veteran trees will not be permitted".
Torbay Local Plan (adopted December 2015) Policy C4 - Trees, hedgerows and natural landscape features
"Development will not be permitted when it would seriously harm, either directly or indirectly, protected or veteran trees, hedgerows, ancient woodlands or other natural features of significant landscape, historic or nature conservation value".


In addition Policy NE2 Protecting Designated Biodiversity and Geodiversity Assets of the Warwick DC Local Plan Submission version (sub para a) also provides protection for ancient woodland and veteran trees.


Natural England's standing advice for Ancient Woodland and Veteran Trees (published April 2014), paragraph 4.8.1 states: 'Ancient woodland is of prime ecological and landscape importance, providing a vital part of a rich and diverse countryside. In particular, ancient woodland:

* is exceptionally rich in wildlife, and supports many rare and threatened species;
* may contain surviving descendants and features from the original natural forests;
* acts as reservoirs from which wildlife can spread into new woodlands;
* has valuable soils due to their undisturbed nature;
* is an integral part of England's historic landscapes and the biological and visual functioning of a landscape;
* contains a wealth of features of historical and archaeological importance little altered by modern cultivation or disturbance;
* contributes to people's sense of place and imagination.'

Impacts on ancient woodland

Approximately one quarter of priority UK BAP species are associated with woodland habitats. Forests, woods, and trees make a significant contribution to biodiversity, and ancient sites are recognised as being of particular value. Due to their longevity, ancient woodlands are more species rich, and are often refuges for specialist woodland species that struggle to colonise new areas.

Woodland wildlife populations are exposed to damaging external impacts from outside the woodland site. Intensity of land use adjacent to ancient woodland results in an increase in these external impacts, otherwise known as 'edge effects'. Detrimental edge effects have been shown to penetrate woodland causing changes in ancient woodland characteristics that extend up to three times the canopy height in from the forest edges.

Creation of new areas of woodland or buffer zones around semi-natural habitats, and more particularly ancient woodland, will help to reduce and ameliorate the impact of damaging edge effects, serving to improve their sustainability. The size of the buffer is dependent on the intensity of land use in the intervening matrix between ancient woods.

Natural England's standing advice for Ancient Woodland and Veteran Trees, paragraph 6.4, highlights the importance of keeping development away from ancient woodland and buffering it where necessary:

"Development must be kept as far as possible from ancient woodland, with a buffer area maintained between the ancient woodland and any development boundary. An appropriate buffer area will depend on the local circumstances and the type of development. In a planning case in West Sussex the Secretary of State supported the arguments for a 15m buffer around the affected ancient woodland, but larger buffers may be required."

The size of a number of the site allocations suggests that large scale development could potentially take place. The minimum 15m buffer recommendation to all development is not effective in ensuring that ancient woodland within and/or adjacent to site allocations is not affected by potential future development. Buffers should be constructed on a case-by-case basis rather than a 'one size fits all' approach.

The Woodland Trust is particularly concerned about the following:

* Disturbance by noise, light, trampling and other human activity;
* Fragmentation as a result of the destruction of adjacent semi-natural habitats;
* Development providing a source of non-native plants and aiding their colonisation;
* Where the wood edge overhangs gardens, branches and even whole trees can be indiscriminately lopped/felled, causing reduction of the woodland canopy;
* There will inevitably be safety issues in respect of trees adjoining public areas and buildings, which will be threatening to the longer-term retention of such trees;
* There can be changes to the hydrology altering ground water and surface water quantities. Also the introduction of water run offs from urban development will result in changes to the characteristics and quality of the surface water as a result of pollution/contamination etc.

The close proximity of a large development to ancient woodland and ancient trees could have numerous adverse impacts on the health of the site.

In order to protect the site's fauna and flora from exposure to edge effects it is necessary to implement a buffer zone. A buffer is a landscape feature used to protect sensitive areas from the impacts of development (or other harmful neighbouring land use). The buffer could be planted with trees or shrubs or it could be an area of land which the development is not allowed to encroach upon (e.g. a grassy strip).

Buffers should be designed on a case by case basis, and depend on a variety of factors, such as number of houses, alternative areas of green space available, layout of the development, etc. The Trust recommends that a buffer of at least 15m is implemented between the proposed development and ancient woodland. This buffer should consist of 50% planting of semi-natural vegetation.

The implementation of a buffer consisting of hawthorn would help to prevent edge effects and garden-related problems from arising by preventing encroachment on to our site. Alternatively a grassy strip would also serve an important purpose as it will help to separate the woodland from development and encourage a phased habitat to the woodland edge.

It should be noted that gardens of adjacent housing must not be included within buffer zones as there is limited control over how they may be used, or developed in the future; for example, they might be paved or decked without the need for planning permission or they may include inappropriate species which could integrate themselves into our site. Further to this the Trust recommends that gardens of houses are not backed on to our site as they result in the increase of garden-related problems for adjacent wooded areas, i.e. waste tipping, littering, spreading of invasive and non-native plants species, disturbance, pet intrusion, etc.

Object

Proposed Modifications January 2016

Representation ID: 69736

Received: 22/04/2016

Respondent: Sport England

Legally compliant? Not specified

Sound? No

Duty to co-operate? Not specified

Representation Summary:

Clarification should be made in regards to the intended future of the sports club site (Alvis) at Kings Hill.

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Object

Proposed Modifications January 2016

Representation ID: 69816

Received: 22/04/2016

Respondent: Coventry and Warwickshire Local Enterprise Partnership (CWLEP)

Legally compliant? Not specified

Sound? No

Duty to co-operate? Not specified

Representation Summary:

the explanatory text supporting the policies (New1.1-New 1.11) should be strengthened to require the provision of employment land and premises on appropriate sites.

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Object

Proposed Modifications January 2016

Representation ID: 69856

Received: 22/04/2016

Respondent: Mrs J Mackenzie

Legally compliant? No

Sound? No

Duty to co-operate? Not specified

Representation Summary:

Numbers based on Coventry requirements not approved in local plan, revised before 2017?
No critical examination of claims that land unavailable -areas of Coventry green belt could be developed with less impact
Provision of land to meet Coventry's overspill contrary to NPPF - require sub-regional SA to be valid
How do proposals fit with neighbouring development
No consultation undertaken with parish councils before decisions made
MoU providing additional housing for Combined Authority circumvents democratic process, NPPF
Impact of proposals at Thickthorn and Kings Hill next to over-capacity A46 not considered

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Object

Proposed Modifications January 2016

Representation ID: 69882

Received: 22/04/2016

Respondent: Bishop's Tachbrook Parish Council

Legally compliant? Not specified

Sound? Not specified

Duty to co-operate? Not specified

Representation Summary:

New1.1 displays an unfortunate expansionist policy that appears to want to take over Coventry's problem in its entirety. The real reason is that Coventry does not want to lose all its green belt within the boundary and that should be transparently shown.
Suggested amended text is given in the original full text version.
New 1.4 is an extremely dangerous way to proceed as it is too insular an approach by Warwick District. To declare that developers and promoters are at liberty to provide their own detailed masterplans is a recipe for disaster.
New1.5 The proposals for Warwick University, which is jointly on land donated by the City Council and the District Council, is welcomed. It should be required to provide not only for its academic initiatives but also provide facilities for business's that are led by university research and for student accommodation, either on campus or in close proximity to it.

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Support

Proposed Modifications January 2016

Representation ID: 70094

Received: 22/04/2016

Respondent: Stagecoach

Representation Summary:

Need to ensure transport strategy in support of the new allocations both protects and takes advantages of the opportunities for sustainable transport to the greatest extent possible, and in so doing has regard to the opportunities to create sustainable inter-connectivity to the Proposed Regional Strategic Employment Allocation

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Object

Proposed Modifications January 2016

Representation ID: 70118

Received: 08/04/2016

Respondent: Mr. Michael Patrick

Agent: Gordon Walters

Legally compliant? Yes

Sound? Yes

Duty to co-operate? Not specified

Representation Summary:

Support development at Kings Hill
Suggest some changes to wording of policy / explanatory text
[Covering letter] Wainbody Wood - as this is ancient woodland of around 15.5ha, should be excluded from development area, protected from associated adverse impacts and maintained as a habitat and biodiversity resource as stated.
[form] As Kings Hill's Wainbody Wood is an ancient woodland the following should be considered as the woodland edge is of considerable ecological value and should also be protected from development.

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Object

Proposed Modifications January 2016

Representation ID: 70171

Received: 22/04/2016

Respondent: Commercial Estates Group

Agent: Nexus Planning

Legally compliant? No

Sound? No

Duty to co-operate? Not specified

Representation Summary:

WDC should require the preparation of an Area Action Plan for the wider area south of Coventry, rather than dealing with it through a partial review.
Broad area could be referenced in Local Plan with exact extent determined through AAP preparation.
AAP would provide specific planning policy and guidance for defined area to specify required land uses in particular locations, identify key strategic interventions.
AAPs have strong delivery/implementation focus, and form statutory component of LDF, enabling them to review Green Belt boundaries, e.g. when further HS2 details known.
Appropriate tool to address development pressures and transformational change south of Coventry

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Object

Proposed Modifications January 2016

Representation ID: 70305

Received: 23/04/2016

Respondent: Hazel and Robin Fryer

Legally compliant? No

Sound? No

Duty to co-operate? Not specified

Representation Summary:

Warwick District Council claim to be working to a Sub-Regional Plan to justify development but the WDLP does not indicate the way their proposals integrate with neighbouring development and this poor planning co-ordination makes the WDLP proposals 'not effective'.

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