Draft Greater Cambridge Planning Obligations Supplementary Planning Document Consultation

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Comment

Draft Greater Cambridge Planning Obligations Supplementary Planning Document Consultation

Chapter 16: Public Realm

Representation ID: 200321

Received: 24/01/2025

Respondent: Home Builders Federation

Representation Summary:

The SPD suggests that planning obligations will be sought from all development, and that S106 agreements could be used for a variety of on-site and off-site public realm improvements.

The HBF considers that most public realm measures will be provided as the new residential development is provided and it is considered unlikely that further provision should be considered necessary. It is also considered that the Council should be working closely with the development industry to ensure that these public realm schemes are adopted and therefore there should not be any ongoing maintenance costs for these measures. Therefore, the HBF considers that this section of the SPD should be deleted.

Comment

Draft Greater Cambridge Planning Obligations Supplementary Planning Document Consultation

Chapter 17: Waste and Recycling

Representation ID: 200322

Received: 24/01/2025

Respondent: Home Builders Federation

Representation Summary:

The SPD suggests that planning obligations will be sought from all development, and that there is a cost to issue bins for new properties (£90 per dwelling), a cost in relation to the provision of refuse collection vehicles (£112 per dwelling) and a cost in relation to the provision of household recycling centres.

The HBF considers that it will be important to ensure that these requirements are viable and deliverable and do not prevent or stall delivery of homes.

Comment

Draft Greater Cambridge Planning Obligations Supplementary Planning Document Consultation

Chapter 18: Emergency Services

Representation ID: 200323

Received: 24/01/2025

Respondent: Home Builders Federation

Representation Summary:

This section of the SPD is based on Cambridge Local Plan Policy 85 and South Cambridgeshire Local Plan TI/8. The SPD suggests that planning obligations will be sought from all development, and that contributions will be dependent on the size and scale of the proposal. The HBF would query what evidence the Council have to support this proposal for funding for the emergency services, is there evidence of a capacity issue or a funding gap created by new development in the area.

Comment

Draft Greater Cambridge Planning Obligations Supplementary Planning Document Consultation

Chapter 19: Planning Obligations to support local employment and skills

Representation ID: 200324

Received: 24/01/2025

Respondent: Home Builders Federation

Representation Summary:

The SPD suggests that planning obligations will be sought from all residential development, with major developments encouraged to contribute towards the provision of skills and employment opportunities for local residents through the provision and implementation of an Employment and Skills Plan.

The HBF is concerned that there are no policies in either Plan in relation to this requirement, and therefore, this is not in line with the NPPF or the PPG. The HBF is also concerned that this means that this requirement has not been tested at examination and the impact of this requirement on the delivery of development has not been considered. The HBF considers that it is also unlikely that the impacts of this requirement have been considered in terms of viability.

Comment

Draft Greater Cambridge Planning Obligations Supplementary Planning Document Consultation

Chapter 21: Public Rights of Way

Representation ID: 200325

Received: 24/01/2025

Respondent: Home Builders Federation

Representation Summary:

The SPD suggests that planning obligations may be sought from any development, and these may be sought on-site as part of the development works to secure new rights of way over the proposed development site or for the upgrade of existing routes. It also suggests that financial contributions may be appropriate where necessary to establish better links / connections between new and existing routes on site. The HBF is concerned about the lack of detail provided in relation to this requirement, it is not apparent under what circumstances developments may be required to establish better links to new and existing routes or to the wider network, or as to how long these new connections may expected to be and therefore what the costs may be.

Comment

Draft Greater Cambridge Planning Obligations Supplementary Planning Document Consultation

Chapter 22: Healthcare

Representation ID: 200326

Received: 24/01/2025

Respondent: Home Builders Federation

Representation Summary:

The HBF is concerned with the overly simplified assumption within this section of the SPD that new housing developments increase the total number of patients that need primary care in a localised area. It may be that only a small number of households are actually moving from outside of the area, and therefore a simple calculation of the total population of the newly built homes may significantly over estimate the health requirements. The HBF is also concerned by the assumption in paragraph 22.28 which states that if the baseline position is that the existing primary care infrastructure does have capacity to accommodate the additional population growth caused by the development a contribution will be required. The HBF hopes this is a typographical error and it should be if the primary care infrastructure does not have capacity, otherwise the HBF considers this requirement highly inappropriate.

Comment

Draft Greater Cambridge Planning Obligations Supplementary Planning Document Consultation

Chapter 23: Other Potential Development Specific Requirements

Representation ID: 200327

Received: 24/01/2025

Respondent: Home Builders Federation

Representation Summary:

The HBF is concerned that there are further potential planning obligations that may be required from development, that are not detailed in this policy or the Plan. This does not make it straightforward for the development industry to factor these costs into their land purchases or their consideration of the costs of development. This lack of certainty can be a real issue for developers, and may lead to delays in development coming forward.

Comment

Draft Greater Cambridge Planning Obligations Supplementary Planning Document Consultation

Chapter 4: Affordable Housing

Representation ID: 200561

Received: 24/01/2025

Respondent: Home Builders Federation

Representation Summary:

The SPD suggests that the Council’s expectations on the affordable housing mix by bedrooms as a starting point, is set out in Tables 2 & 3 of Annex 2 of the Greater Cambridge Housing Strategy 2024-2029. The suggested mix is not included in the SPD, and it is not apparent how it will be kept up to date should new evidence from monitoring or a housing needs assessment indicates that these are no longer correct. HBF suggest a new paragraph is introduced stating that the suggested mix in Annex 2 of the Cambridge Housing Strategy will apply unless sufficient evidence demonstrates a different appropriate mix.

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