Issue and Options 2023

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Form ID: 79643
Respondent: Barratt David Wilson Homes (Mercia)
Agent: Savills

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There will be a need to review the position relating to the delivery of homes in South Warwickshire when more evidence is made available to inform the needs and strategy for this area.

Form ID: 79644
Respondent: Barratt David Wilson Homes (Mercia)
Agent: Savills

No

No answer given

Q-C3.1: No Needs to be achieved by National policy

Form ID: 79645
Respondent: Barratt David Wilson Homes (Mercia)
Agent: Savills

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Form ID: 79646
Respondent: Barratt David Wilson Homes (Mercia)
Agent: Savills

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No answer given

Q-C4.1 Option C4.1a: Do not have a policy and allow new development to comply with the national building regulation requirements, which may change over time. BDWH is committed to working towards carbon reduction as part of its wider business objectives. In 2021 Barratt Developments was recognised as the UK’s most sustainable housebuilder in the Housebuilder Awards, following its success as the top scoring UK housebuilder by the Carbon Disclosure Project. The Barratt Building Sustainably Framework sets out Barratt Development’s sustainability ambitions and targets, which include all homes to be zero carbon by 2030 and Barratt Developments to be Net Zero in its own operations by 2040. Option C4.1a. is appropriate because Building Regulation standards change to address and accommodate best practice and the latest technology and standards. Local Plan policy is not as agile in responding to such innovation and as such is not considered to be an appropriate way to control building standards.

Form ID: 79647
Respondent: Barratt David Wilson Homes (Mercia)
Agent: Savills

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Form ID: 79648
Respondent: Barratt David Wilson Homes (Mercia)
Agent: Savills

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Q-C7: Option C7c: None of these The preferred option should be determined with reference to a robust evidence base, including in relation to viability. More evidence is required. Q-C9.1: Option C9.1b: Do not include a policy requiring new development and changes to existing buildings to incorporate measures to increase biodiversity. Option C9.1b is appropriate because new legislation will deal with this matter.

Form ID: 79649
Respondent: Barratt David Wilson Homes (Mercia)
Agent: Savills

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Form ID: 79650
Respondent: Barratt David Wilson Homes (Mercia)
Agent: Savills

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Q-C10.1: Option C10.1c: None of these The SWLP should not be imposing additional requirements over and above national guidance.

Form ID: 79651
Respondent: Barratt David Wilson Homes (Mercia)
Agent: Savills

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Form ID: 79652
Respondent: Barratt David Wilson Homes (Mercia)
Agent: Savills

Nothing chosen

Q-D2: Option D2d: None of these Design codes should not be unduly restrictive. Detailed design of a site should take into account the relevant technical considerations that cannot be fully investigated at the plan making stage. Q-D3: Option D3a: Include a policy which underlines the relevance and importance of density, but which does not identify an appropriate minimum density or range of densities across South Warwickshire. Option D3a is appropriate as this would enable a more locally tailored approach to density, which seeks to make the most efficient use of land, taking into account the specific context each site. This approach could also be adapted to align with the general requirement set out within the NPPF7 for Local Plans to include the use of minimum density standards for city and town centres and other locations that are well served by public transport. 7 National Planning Policy Framework: Paragraph 125.

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