Proposed Modifications January 2016

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Object

Proposed Modifications January 2016

Mod 8 - Policy DS10

Representation ID: 68407

Received: 19/04/2016

Respondent: Leamington Society

Legally compliant? Yes

Sound? No

Duty to co-operate? Yes

Representation Summary:

Proposed new housing density is too low occupying too big an area of land and encroaching on Greenfield land.

Full text:

The modified draft includes very substantial extra housing sites to meet the Inspector's requirement particularly on the duty to cooperate with Coventry's housing needs. All the new sites and the previously adopted sites, mainly to the south of Warwick and Leamington, are based on profligate use of land.

Although described as "urban extensions" they are designed at far lower density than the towns and this spread of "garden suburbs" does not reflect the context and urban quality of either Warwick or Leamington. This is in spite of the high value that the market clearly attributes to existing accommodation within these two towns.

We note that, in the February 2016 SA consultation on the WDC website (p6, para. 2.8) provided
several options for testing
* four housing growth options
* seven broad locational options
* four distribution options
The obvious option of providing urban extensions at urban density has been excluded from the working brief handed to the consultants. This key factor of density is the "elephant in the room" which WDC appears to have resolutely refused to recognise throughout the procedure for developing a Local Plan. The Council has therefore struggled to accommodate housing needs within the local geography while avoiding Greenbelt land. After the initial examination of the original Local Plan, WDC has been forced to consider major breaches of the Greenbelt.

At the recent February Council to consider the modified Plan there was widespread dismay across the chamber, including members from all parties. The justification cited for low density sprawl was to provide "green spaces" but this housing policy inevitably covers huge extra areas of green countryside, now also within the Greenbelt, with sprawling suburbs. It is the negation of the original purpose of Greenbelt - to contain settlements and protect adjoining countryside.

A policy of low density layouts has plainly exacerbated Warwick District's problems in providing the necessary extra housing: it is a matter of simple arithmetic in land requirements. Yet that is by no means the only effect. It also is bound to compromise the sustainability of these new developments. This is particularly evident in the provision of transport options and other local services. Historically communities have clustered and towns have functioned because of the proximity of people to local services. It became enshrined in planning policy to encourage close-knit communities as distinct from scattered sprawling development.

In the early 20th century, garden towns were proposed largely as a reaction to Victorian city slums. Circumstances have changed out of all recognition in the past century: both in housing standards and sanitation and with millions of cars now competing for road space.
The major and growing challenges of congestion, air quality and climate change are clearly recognised as critical planning issues within the NPPF.

Object

Proposed Modifications January 2016

Mod 9 - paras 2.37 and 2.38

Representation ID: 68408

Received: 19/04/2016

Respondent: Leamington Society

Legally compliant? Yes

Sound? No

Duty to co-operate? Yes

Representation Summary:

The proposed developments will lead to big increases in traffic, more congested roads and environmental damage

Full text:

The major and growing challenges of congestion, air quality and climate change are clearly recognised as critical planning issues within the NPPF.

4.29 The transport system needs to be balanced in favour of sustainable transport modes,
giving people real choice about how they travel.
4.32 Plans and decisions should take account of whether:
the opportunities for sustainable transport modes have been taken up, depending on the nature and location of the site, to reduce the need for major transport infrastructure.
4.35 Plans should ... be designed ... to give priority to pedestrian and cycle movements, and give access to high quality public transport facilities.

Object

Proposed Modifications January 2016

Mod 8 - Policy DS10

Representation ID: 68409

Received: 19/04/2016

Respondent: Leamington Society

Legally compliant? Yes

Sound? No

Duty to co-operate? Yes

Representation Summary:

Housing density proposed for green field and Green belt area is too low, leading to profligate use of land and dependence on motor cars for transport to and from employment and local shops and schools etc.

Full text:

The modified draft includes very substantial extra housing sites to meet the Inspector's requirement particularly on the duty to cooperate with Coventry's housing needs. All the new sites and the previously adopted sites, mainly to the south of Warwick and Leamington, are based on profligate use of land.

Although described as "urban extensions" they are designed at far lower density than the towns and this spread of "garden suburbs" does not reflect the context and urban quality of either Warwick or Leamington. This is in spite of the high value that the market clearly attributes to existing accommodation within these two towns.

We note that, in the February 2016 SA consultation on the WDC website (p6, para. 2.8) provided
several options for testing
* four housing growth options
* seven broad locational options
* four distribution options
The obvious option of providing urban extensions at urban density has been excluded from the working brief handed to the consultants. This key factor of density is the "elephant in the room" which WDC appears to have resolutely refused to recognise throughout the procedure for developing a Local Plan. The Council has therefore struggled to accommodate housing needs within the local geography while avoiding Greenbelt land. After the initial examination of the original Local Plan, WDC has been forced to consider major breaches of the Greenbelt.

Object

Proposed Modifications January 2016

Mod 15 - paras 2.66 to 2.68

Representation ID: 68410

Received: 19/04/2016

Respondent: Leamington Society

Legally compliant? Yes

Sound? No

Duty to co-operate? Yes

Representation Summary:

Development of land off Europa Way is not sustainable or environmentally responsible. Road traffic increases in the town of Leamington and Warwick will increase to an unacceptable level

Full text:

The major and growing challenges of congestion, air quality and climate change are clearly recognised as critical planning issues within the NPPF.

4.29 The transport system needs to be balanced in favour of sustainable transport modes,
giving people real choice about how they travel.
4.32 Plans and decisions should take account of whether:
the opportunities for sustainable transport modes have been taken up, depending on the nature and location of the site, to reduce the need for major transport infrastructure.
4.35 Plans should ... be designed ... to give priority to pedestrian and cycle movements, and give access to high quality public transport facilities.

The SA consultation considers "Likely Effects of the Local Plan Modifications" (pp 21-25) on Transport & Accessibility, Air Quality and Climate Change. It acknowledges in each case the "potential to increase the significance of negative effects". It then comments on "a range of mitigation strategies ... which will contribute to reducing the extent of these negative effects" but will not eliminate them.
The SA also shows extensive colour coded charts featuring numerous question marks in the various boxes. Thus we are offered a verbose, shuffling, imprecise narrative, which suggests the outcome may not be all that bad.

Object

Proposed Modifications January 2016

Mod 8 - Policy DS10

Representation ID: 68411

Received: 19/04/2016

Respondent: Leamington Society

Legally compliant? Yes

Sound? No

Duty to co-operate? Yes

Representation Summary:

WDC have not even considered the option of high density housing , which would enable WDC to avoid concreting over large areas of green field or even Green belt. Suburban sprawl will generate more car use and more pollution.

Full text:

All the new sites and the previously adopted sites, mainly to the south of Warwick and Leamington, are based on profligate use of land.

Although described as "urban extensions" they are designed at far lower density than the towns and this spread of "garden suburbs" does not reflect the context and urban quality of either Warwick or Leamington. This is in spite of the high value that the market clearly attributes to existing accommodation within these two towns.
All the new sites and the previously adopted sites, mainly to the south of Warwick and Leamington, are based on profligate use of land.

Although described as "urban extensions" they are designed at far lower density than the towns and this spread of "garden suburbs" does not reflect the context and urban quality of either Warwick or Leamington. This is in spite of the high value that the market clearly attributes to existing accommodation within these two towns.
The justification cited for low density sprawl was to provide "green spaces" but this housing policy inevitably covers huge extra areas of green countryside, now also within the Greenbelt, with sprawling suburbs. It is the negation of the original purpose of Greenbelt - to contain settlements and protect adjoining countryside.
A policy of low density layouts has plainly exacerbated Warwick District's problems in providing the necessary extra housing: it is a matter of simple arithmetic in land requirements. Yet that is by no means the only effect. It also is bound to compromise the sustainability of these new developments. This is particularly evident in the provision of transport options and other local services.

Object

Proposed Modifications January 2016

Explanation

Representation ID: 68412

Received: 19/04/2016

Respondent: Leamington Society

Legally compliant? Yes

Sound? No

Duty to co-operate? Yes

Representation Summary:

The revised Local Plan is not sustainable and does not conform with NPPF 4.29, 4.32 and 4.35

Full text:

The SA consultation considers "Likely Effects of the Local Plan Modifications" (pp 21-25) on Transport & Accessibility, Air Quality and Climate Change. It acknowledges in each case the "potential to increase the significance of negative effects". It then comments on "a range of mitigation strategies ... which will contribute to reducing the extent of these negative effects" but will not eliminate them.
The SA also shows extensive colour coded charts featuring numerous question marks in the various boxes. Thus we are offered a verbose, shuffling, imprecise narrative, which suggests the outcome may not be all that bad.

In the infrastructure planning there are hopeful suggestions of bus services to all these new developments. Yet well-established professional experience indicates that at low densities of 30 - 35 dwellings per hectare there is little prospect of effective bus services to provide a genuine and attractive alternative to the car. There is therefore no doubt that these proposed suburbs will be highly dependent on the motor car. Road planning, such as for Europa Way, confirms this expectation that the Local Plan is car-dependent and continues unreformed highway policies giving priority to motor traffic, largely in disregard of the NPPF clauses quoted above. This attempt to facilitate ever increasing volumes of traffic means that the extra flows along Europa Way will impact heavily on Warwick or Leamington or both. In mitigation we are offered schemes like the South Leamington gyratory, where the impulse to force through more traffic is most unlikely to "give priority to pedestrian and cycle movements". On the contrary, shoppers and visitors to the intended Creative Quarter will face an intimidating traffic circuit together with more air pollution.

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