Draft Greater Cambridge Planning Obligations Supplementary Planning Document re-consultation - 2025
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Draft Greater Cambridge Planning Obligations Supplementary Planning Document re-consultation - 2025
Chapter 2: Approach to Planning Obligations
Representation ID: 201065
Received: 03/10/2025
Respondent: Cambridgeshire County Council
Minor drafting issues have been identified (e.g., missing CCC pre‑application service details, missing link to CCC website, tables in Appendix A, missing reference to CCC Infrastructure Funding Statement) and should be incorporated into the final SPD.
We have reviewed the current draft, are satisfied with the level of engagement through the process. However we wish to raise two specific matters, the first of which is a number of minor drafting issues (see table in attached response).
The second is with regard to the removal of text relating to 'specialist housing for older people' and 'specialist supported accommodation for other groups' (paragraphs 4.12 to 4.14). The County Council has a statutory duty to commission services that meet the care needs of children and adults across Cambridgeshire. The omission of these refences presents a significant challenge, particularly in light of rising demand for specialist housing demonstrated through demand profiles shared. The Greater Cambridge Housing Strategy acknowledges the importance of both market and affordable housing in meeting this demand. Accordingly, it is appropriate for the SPD to set out how such provision will be secured through Section 106 agreements for residential developments.
Comment
Draft Greater Cambridge Planning Obligations Supplementary Planning Document re-consultation - 2025
Chapter 4: Affordable Housing
Representation ID: 201066
Received: 03/10/2025
Respondent: Cambridgeshire County Council
The removal of text on specialist housing for older people and specialist supported accommodation for other groups (paragraphs 4.12 and 4.14) is problematic as it is the County Council's statutory duty to provide such care services, and therefore these provisions should be retained in the SPD and secured via Section 106 agreements.
We have reviewed the current draft, are satisfied with the level of engagement through the process. However we wish to raise two specific matters, the first of which is a number of minor drafting issues (see table in attached response).
The second is with regard to the removal of text relating to 'specialist housing for older people' and 'specialist supported accommodation for other groups' (paragraphs 4.12 to 4.14). The County Council has a statutory duty to commission services that meet the care needs of children and adults across Cambridgeshire. The omission of these refences presents a significant challenge, particularly in light of rising demand for specialist housing demonstrated through demand profiles shared. The Greater Cambridge Housing Strategy acknowledges the importance of both market and affordable housing in meeting this demand. Accordingly, it is appropriate for the SPD to set out how such provision will be secured through Section 106 agreements for residential developments.
Comment
Draft Greater Cambridge Planning Obligations Supplementary Planning Document re-consultation - 2025
Chapter 23: Other Potential Development Specific Requirements
Representation ID: 201131
Received: 30/09/2025
Respondent: Cambridgeshire County Council
The SPD should explicitly recognise flood risk and surface‑water management as essential infrastructure and use planning obligations to secure delivery, phasing and long‑term maintenance of Sustainable Drainage Systems (SuDS).
Thank you for consulting the LLFA on the Draft Planning Obligations Supplementary Planning Document.
The LLFA have reviewed the Draft Planning Obligations Supplementary Planning Document and have the following comments:
We consider it important that the SPD clearly recognises flood risk and surface water management as essential infrastructure, with obligations used where necessary to secure delivery, phasing and long-term maintenance of Sustainable Drainage Systems (SuDS).
-The reference to Cambridge Local Plan Policy 31 & 32 and South Cambridgeshire Local Plan Policy CC/8 and CC/9 is supported by the LLFA. South Cambridgeshire Local Plan Policy CC/7 may also be relevant as it covers the importance of managing water quality in new developments using SuDS.
-The Cambridgeshire Flood and Water Supplementary
Planning Guidance (SPD) is adopted by South Cambridgeshire District Council and promotes the use of SuDS to mimic natural drainage within new developments and it is therefore great to see this mentioned within the SPD.
-Cambridgeshire County Councils Surface Water Planning Guidance also provides technical guidance for developers.
Should you wish to further discuss any of the above comments, please do not hesitate to contact us.
Comment
Draft Greater Cambridge Planning Obligations Supplementary Planning Document re-consultation - 2025
Chapter 23: Other Potential Development Specific Requirements
Representation ID: 201132
Received: 30/09/2025
Respondent: Cambridgeshire County Council
The LLFA supports the reference to Cambridge Local Plan Policies 31 & 32 and South Cambridgeshire Local Plan Policies CC/8 and CC/9, and notes that Policy CC/7 on managing water quality with SuDS may also be relevant.
Thank you for consulting the LLFA on the Draft Planning Obligations Supplementary Planning Document.
The LLFA have reviewed the Draft Planning Obligations Supplementary Planning Document and have the following comments:
We consider it important that the SPD clearly recognises flood risk and surface water management as essential infrastructure, with obligations used where necessary to secure delivery, phasing and long-term maintenance of Sustainable Drainage Systems (SuDS).
-The reference to Cambridge Local Plan Policy 31 & 32 and South Cambridgeshire Local Plan Policy CC/8 and CC/9 is supported by the LLFA. South Cambridgeshire Local Plan Policy CC/7 may also be relevant as it covers the importance of managing water quality in new developments using SuDS.
-The Cambridgeshire Flood and Water Supplementary
Planning Guidance (SPD) is adopted by South Cambridgeshire District Council and promotes the use of SuDS to mimic natural drainage within new developments and it is therefore great to see this mentioned within the SPD.
-Cambridgeshire County Councils Surface Water Planning Guidance also provides technical guidance for developers.
Should you wish to further discuss any of the above comments, please do not hesitate to contact us.
Comment
Draft Greater Cambridge Planning Obligations Supplementary Planning Document re-consultation - 2025
Chapter 23: Other Potential Development Specific Requirements
Representation ID: 201133
Received: 30/09/2025
Respondent: Cambridgeshire County Council
It is welcomed that the Cambridgeshire Flood and Water Supplementary Planning Guidance, which promotes SuDS to mimic natural drainage, is mentioned in the SPD.
Thank you for consulting the LLFA on the Draft Planning Obligations Supplementary Planning Document.
The LLFA have reviewed the Draft Planning Obligations Supplementary Planning Document and have the following comments:
We consider it important that the SPD clearly recognises flood risk and surface water management as essential infrastructure, with obligations used where necessary to secure delivery, phasing and long-term maintenance of Sustainable Drainage Systems (SuDS).
-The reference to Cambridge Local Plan Policy 31 & 32 and South Cambridgeshire Local Plan Policy CC/8 and CC/9 is supported by the LLFA. South Cambridgeshire Local Plan Policy CC/7 may also be relevant as it covers the importance of managing water quality in new developments using SuDS.
-The Cambridgeshire Flood and Water Supplementary
Planning Guidance (SPD) is adopted by South Cambridgeshire District Council and promotes the use of SuDS to mimic natural drainage within new developments and it is therefore great to see this mentioned within the SPD.
-Cambridgeshire County Councils Surface Water Planning Guidance also provides technical guidance for developers.
Should you wish to further discuss any of the above comments, please do not hesitate to contact us.
Comment
Draft Greater Cambridge Planning Obligations Supplementary Planning Document re-consultation - 2025
Chapter 23: Other Potential Development Specific Requirements
Representation ID: 201134
Received: 30/09/2025
Respondent: Cambridgeshire County Council
The Cambridgeshire County Council Surface Water Planning Guidance, which provides technical guidance for developers, should be acknowledged.
Thank you for consulting the LLFA on the Draft Planning Obligations Supplementary Planning Document.
The LLFA have reviewed the Draft Planning Obligations Supplementary Planning Document and have the following comments:
We consider it important that the SPD clearly recognises flood risk and surface water management as essential infrastructure, with obligations used where necessary to secure delivery, phasing and long-term maintenance of Sustainable Drainage Systems (SuDS).
-The reference to Cambridge Local Plan Policy 31 & 32 and South Cambridgeshire Local Plan Policy CC/8 and CC/9 is supported by the LLFA. South Cambridgeshire Local Plan Policy CC/7 may also be relevant as it covers the importance of managing water quality in new developments using SuDS.
-The Cambridgeshire Flood and Water Supplementary
Planning Guidance (SPD) is adopted by South Cambridgeshire District Council and promotes the use of SuDS to mimic natural drainage within new developments and it is therefore great to see this mentioned within the SPD.
-Cambridgeshire County Councils Surface Water Planning Guidance also provides technical guidance for developers.
Should you wish to further discuss any of the above comments, please do not hesitate to contact us.