Greater Cambridge Local Plan Preferred Options
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Greater Cambridge Local Plan Preferred Options
CC/WE: Water efficiency in new developments
Representation ID: 57241
Received: 10/12/2021
Respondent: European Property Ventures (Cambridgeshire)
Agent: Claremont Planning Consultancy
It is considered that the proposed requirement for residential developments to be designed to achieve a standard of 80 litres/person/day is too onerous and will not be achievable in all cases. The current Building Regulations standard of 110 litres/person/day is more realistic. It is considered that the Council’s policy on water efficiency should adopt a flexible approach and should encourage the use of rainwater harvesting in new developments.
It is considered that the proposed requirement for residential developments to be designed to achieve a standard of 80 litres/person/day is too onerous and will not be achievable in all cases. The current Building Regulations standard of 110 litres/person/day is more realistic. It is considered that the Council’s policy on water efficiency should adopt a flexible approach and should encourage the use of rainwater harvesting in new developments.
Comment
Greater Cambridge Local Plan Preferred Options
CC/DC: Designing for a changing climate
Representation ID: 57243
Received: 10/12/2021
Respondent: European Property Ventures (Cambridgeshire)
Agent: Claremont Planning Consultancy
The current wording in relation to the cooling hierarchy proposed within this policy is considered to be too technical and not clear and will be difficult to work in practice. This is contrary to paragraph 16 (d) of the NPPF that requires Plans to contain policies that are clearly written and unambiguous.
The current wording in relation to the cooling hierarchy proposed within this policy is considered to be too technical and not clear and will be difficult to work in practice. This is contrary to paragraph 16 (d) of the NPPF that requires Plans to contain policies that are clearly written and unambiguous.
Comment
Greater Cambridge Local Plan Preferred Options
CC/FM: Flooding and integrated water management
Representation ID: 57244
Received: 10/12/2021
Respondent: European Property Ventures (Cambridgeshire)
Agent: Claremont Planning Consultancy
The inclusion of a policy on how development should address flood risk and implement integrated water management including sustainable drainage systems into the Plan is a sensible approach.
The inclusion of a policy on how development should address flood risk and implement integrated water management including sustainable drainage systems into the Plan is a sensible approach.
Comment
Greater Cambridge Local Plan Preferred Options
CC/RE: Renewable energy projects and infrastructure
Representation ID: 57245
Received: 10/12/2021
Respondent: European Property Ventures (Cambridgeshire)
Agent: Claremont Planning Consultancy
It is considered that the Local Plan should support renewable energy production, use and investment including onshore wind capacity in Greater Cambridge.
It is considered that the Local Plan should support renewable energy production, use and investment including onshore wind capacity in Greater Cambridge.
Comment
Greater Cambridge Local Plan Preferred Options
BG/BG: Biodiversity and geodiversity
Representation ID: 57246
Received: 10/12/2021
Respondent: European Property Ventures (Cambridgeshire)
Agent: Claremont Planning Consultancy
Objection is made to the requirement for development to achieve a minimum 20% biodiversity net gain as this is considered too onerous and not achievable in all cases. The Environment Bill introduces a mandatory 10% minimum biodiversity net gain and it is considered that Greater Cambridge should not seek to double this requirement on all development sites.
Objection is made to the requirement for development to achieve a minimum 20% biodiversity net gain as this is considered too onerous and not achievable in all cases. The Environment Bill introduces a mandatory 10% minimum biodiversity net gain and it is considered that Greater Cambridge should not seek to double this requirement on all development sites.
Comment
Greater Cambridge Local Plan Preferred Options
BG/TC: Improving Tree Canopy Cover and the Tree Population
Representation ID: 57247
Received: 10/12/2021
Respondent: European Property Ventures (Cambridgeshire)
Agent: Claremont Planning Consultancy
It is considered that a more flexible approach be applied to a policy on trees and there is a need to balance the priority for tree planting alongside the provision of sustainable development. Applicants for development proposals should be encouraged to protect tree populations and hedgerows on site and provide appropriate replacement planting where felling is necessary but tree protection should not be at the expense of the provision of housing. There will be instances where the health of existing trees does not warrant their retention and replacement planting will be a benefit to scheme proposals.
It is considered that a more flexible approach be applied to a policy on trees and there is a need to balance the priority for tree planting alongside the provision of sustainable development. Applicants for development proposals should be encouraged to protect tree populations and hedgerows on site and provide appropriate replacement planting where felling is necessary but tree protection should not be at the expense of the provision of housing. There will be instances where the health of existing trees does not warrant their retention and replacement planting will be a benefit to scheme proposals.
Comment
Greater Cambridge Local Plan Preferred Options
BG/EO: Providing and enhancing open spaces
Representation ID: 57248
Received: 10/12/2021
Respondent: European Property Ventures (Cambridgeshire)
Agent: Claremont Planning Consultancy
Open Space Standards will be required to be reviewed through the Local Plan to reflect the differences between the City with its urban character and the more rural environment of the villages.
Open Space Standards will be required to be reviewed through the Local Plan to reflect the differences between the City with its urban character and the more rural environment of the villages.
Comment
Greater Cambridge Local Plan Preferred Options
Wellbeing and inclusion
Representation ID: 57250
Received: 10/12/2021
Respondent: European Property Ventures (Cambridgeshire)
Agent: Claremont Planning Consultancy
Support is given to the identification of the need to provide good quality affordable housing in accessible locations and the promotion of sustainable and active travel. It is considered however, as currently drafted, the strategy of the Plan has a focus on Cambridge, the edge of Cambridge and new settlements and does little to provide for future development within the rural areas
Support is given to the identification of the need to provide good quality affordable housing in accessible locations and the promotion of sustainable and active travel. It is considered however, as currently drafted, the strategy of the Plan has a focus on Cambridge, the edge of Cambridge and new settlements and does little to provide for future development within the rural areas. If the Plan is going to meet the wellbeing and social inclusion aspirations identified, then there needs to be a better balance to ensure that affordable housing and sustainable travel is provided across the urban and rural areas of Greater Cambridge.
Comment
Greater Cambridge Local Plan Preferred Options
WS/HD: Creating healthy new developments
Representation ID: 57251
Received: 10/12/2021
Respondent: European Property Ventures (Cambridgeshire)
Agent: Claremont Planning Consultancy
This policy requires Health Impact Assessments to accompany planning applications. Support is given to the recognition that the level of detail to be provided is appropriate to the scale and nature of the application. Recognition should however be made to the fact that it will not be appropriate to provide Health Impact Assessments in all cases. More detail should be considered in terms of providing a scheme size threshold for when this information is necessary.
This policy requires Health Impact Assessments to accompany planning applications. Support is given to the recognition that the level of detail to be provided is appropriate to the scale and nature of the application. Recognition should however be made to the fact that it will not be appropriate to provide Health Impact Assessments in all cases. More detail should be considered in terms of providing a scheme size threshold for when this information is necessary.
Comment
Greater Cambridge Local Plan Preferred Options
WS/CF: Community, sports and leisure facilities
Representation ID: 57253
Received: 10/12/2021
Respondent: European Property Ventures (Cambridgeshire)
Agent: Claremont Planning Consultancy
It is considered important to provide a policy setting out how new community, sports and leisure facilities will be provided and sustained through new development. The type and scale of facilities should be commensurate to the size of the development proposed.
It is considered important to provide a policy setting out how new community, sports and leisure facilities will be provided and sustained through new development. The type and scale of facilities should be commensurate to the size of the development proposed.