4.10 Character of Place & the Historic Environment

Showing comments and forms 1 to 12 of 12

Comment

Rochford District Core Strategy Regulation 26 Draft

Representation ID: 35

Received: 07/06/2007

Respondent: Ms G Yeadell

Representation Summary:

4.10.5 "The Council dropped its Local List (for) the Rochford District Replacement Local Plan" in 2005 without statutory justification. A former officer said Government "frowned on" such Lists, so why other Councils retained theirs? He told an Inspector re 1 Southend Road, Hockley demolition "Just politics, lot of local interest; nothing of character in that area". Suddenly we learn "more modern guidance" (quoting 2 statutory papers) "there is now encouragement from government in recent White Paper for such Lists"!

There is a simple explanation for the volte facie. Cancelling the List one year and reinstating it another enabled the demolition of 1 Southend Road, Hockley, thus jeopardising all else in the vicinity.

Comment

Rochford District Core Strategy Regulation 26 Draft

Representation ID: 36

Received: 07/06/2007

Respondent: Ms G Yeadell

Representation Summary:

4.10.6 and 8 "Council will reinstate its Local List and update to take account of RECENT DEVELOPMENTS"! Formerly the List didn't confer protection, but it will now "give protection" to such edifices. Do we know which Statute confers this that didn't in the past?

I insist that before such new developments are "protected", residents should be notified and enabled to oppose inclusion of such buildings - after all, they have intentionally, piecemeal, harmed adjacent homes.

Either that, or, if so included, with protection, neighbouring dwellings should be incorporated within a Conservation area. (Doubtless, to prevent that, is why LPA and ECC heritage dept. worked so hard to prevent Grade II Listing of 1 Southend Road - I learn English Heritage, who failed to visit during consultation, turned up on site the day after demolition, which doesn't surprise: hardly transparently honest.

Comment

Rochford District Core Strategy Regulation 26 Draft

Representation ID: 37

Received: 07/06/2007

Respondent: Ms G Yeadell

Representation Summary:

4.10.7 "Responses..historic character of district..worth retaining. But also clear Council should not over-concentrate on this issue". Naturally - from property developers who don't want to be deprived of lucrative demolition and regeneration opportunites.

In Minutes of Planning Policy 3.4.07 officers note disappointing response to Consultation on Rochford Conservation Area Appraisal. I suggest 2 reasons:
. Developers are not interested
. Residents are sick of special treatment for core Rochford, Rayleigh, greenbelt settlements, while dwellings deemed "prime sites" for lucrative development elsewhere are sacrificed. For example it was sickening to see units in Rochford marked "sponsored by English Heritage", others being renovated by preservation trusts, architectural heritage societies etc, while a dozen heritage items from Spa Road to south side of Hockley Hill have been demolished, some better than above.

Plotlands have been preserved, but those at Etheldore were bought, demolished by RDC for greenbelt "open space", land later sold 'back to back' to a developer.

In Rayleigh £7000+ Thames Gateway fund was spent on Websters Way, £3000+ lottery on the Mill, all our money. No wonder residents are cynical.

Support

Rochford District Core Strategy Regulation 26 Draft

Representation ID: 41

Received: 07/06/2007

Respondent: Rochford Parish Council

Representation Summary:

The Parish Council welcome the reinstatement of the local list.

Full text:

The Parish Council welcome the reinstatement of the local list.

Comment

Rochford District Core Strategy Regulation 26 Draft

Representation ID: 175

Received: 20/06/2007

Respondent: Mrs Alison Mayor

Representation Summary:

"The Council will adopt all the Conservation Area Appraisals and Management Plans by the end of the 2007/8 financial year"

Will this be after the decision has been taken as to where the housing will be located?

A little late for Rayleigh...

Full text:

"The Council will adopt all the Conservation Area Appraisals and Management Plans by the end of the 2007/8 financial year"

Will this be after the decision has been taken as to where the housing will be located?

A little late for Rayleigh...

Support

Rochford District Core Strategy Regulation 26 Draft

Representation ID: 296

Received: 01/07/2007

Respondent: Cllr Chris Black

Representation Summary:

Strongly support.

Character of place is affected not only by the style of development, but the sheer amount of it.

Taking Rayleigh as an example, locations can be full of character even if they are not historic - for example, the Pond House in Down Hall Road, and the attractive vista created by the trees when you are coming up the High Road.

Development in Rayleigh has already spread out so far that its identity is being eroded; I have noticed that some residents at the western extremes don't really feel to be part of the town.

Full text:

Strongly support.

Character of place is affected not only by the style of development, but the sheer amount of it.

Taking Rayleigh as an example, locations can be full of character even if they are not historic - for example, the Pond House in Down Hall Road, and the attractive vista created by the trees when you are coming up the High Road.

Development in Rayleigh has already spread out so far that its identity is being eroded; I have noticed that some residents at the western extremes don't really feel to be part of the town.

Comment

Rochford District Core Strategy Regulation 26 Draft

Representation ID: 343

Received: 02/07/2007

Respondent: Historic England

Representation Summary:

Southend Airport

English Heritage has been involved in discussions in the past over proposals for expansion of the airport involving the demolition of St Laurence and All Saints church [listed grade I] at the south west end of the runway. We understand that future plans do not now require demolition, which we welcome, and we trust that the church, and its setting, will be protected.

Evidence base

Rochford, together with Essex County Council, has undertaken some exemplary work on Historic Environment Characterisation and Conservation Area Appraisals. There is every opportunity for Rochford to be an exemplar in using this information to shape the policies and implementation of the LDF. We very much hope that the way the evidence base has been used to influence the plan will be made explicit as the plan progresses.

Historic environment and design policies

We welcome sections 4.9 and 4.10, and also the references to the historic landscape of the Upper Roach valley. The Council may wish to consider how far the Essex Urban Place Supplement [UPS] should be applied since development in some small settlements needs to assessed according to a more rural character, and less dense/smaller scale development is often appropriate. If the LDF does not adopt the UPS in its entirety, then it should be clear which parts are not applicable.

We welcome the commitment to reinstate the local list in the light of the Heritage Protection White Paper. In the preferred policy option it is not necessarily explicit that enhancement is included. We are also unsure if archaeology is reflected here.

Full text:

Thank you for your letter dated 21 May 2007 consulting English Heritage on the above document. There are a small number of issues which we would like to mention at this stage in the LDF process.

Southend Airport

English Heritage has been involved in discussions in the past over proposals for expansion of the airport involving the demolition of St Laurence and All Saints church [listed grade I] at the south west end of the runway. We understand that future plans do not now require demolition, which we welcome, and we trust that the church, and its setting, will be protected.

Evidence base

Rochford, together with Essex County Council, has undertaken some exemplary work on Historic Environment Characterisation and Conservation Area Appraisals. There is every opportunity for Rochford to be an exemplar in using this information to shape the policies and implementation of the LDF. We very much hope that the way the evidence base has been used to influence the plan will be made explicit as the plan progresses.

Historic environment and design policies

We welcome sections 4.9 and 4.10, and also the references to the historic landscape of the Upper Roach valley. The Council may wish to consider how far the Essex Urban Place Supplement [UPS] should be applied since development in some small settlements needs to assessed according to a more rural character, and less dense/smaller scale development is often appropriate. If the LDF does not adopt the UPS in its entirety, then it should be clear which parts are not applicable.

We welcome the commitment to reinstate the local list in the light of the Heritage Protection White Paper. In the preferred policy option it is not necessarily explicit that enhancement is included. We are also unsure if archaeology is reflected here.

We would be happy to discuss any of these comments if you would find this useful.

Comment

Rochford District Core Strategy Regulation 26 Draft

Representation ID: 373

Received: 02/07/2007

Respondent: Rayleigh Town Council

Representation Summary:

Clause 4.10.3. Corporate identities etc. have often in the past been used as excuses to ignore Conservation Area requirements, particularly with shop fronts and signage.
This statement needs to be made more robust.

Clause 4.10.8. Should be reworded to contain specific reference to Conservation Areas

Full text:

Section 1 Spatial Portrait

Page 2 Clause 1.7 Does not mention the supermarket now under construction at the Park School site.

Section 2 Spatial Vision

Clause 2.5 This appears to be at variance with proposals later in the document for large amounts of new residential development, which will of necessity mean releasing large areas of green space.

Clause 2.10 There is no evidence to support this assertion. Judging on past performance and lack of drive from the local P.C.T this can only be described as a "wish list" and cannot be substantiated by firm proposals

Section 3 Relationship of Documents

Clause 3.9 The key diagram forming part of this document is very difficult to follow due to the lack of easily identifiable features and has been the subject of adverse comment by members of the public who have seen it. It would benefit from the addition of main roads, the railway line etc.

It appears that the objective of avoiding duplication (3.10) has resulted in the proliferation of a multitude of documents at considerable cost in time and effort to the Council, which could be rendered obsolete overnight at the whim of Central Government.

Section 4 Core Strategy Issues

Clause 4.2.2 Policies SS1 and SS7 of the East of England Plan confirm the need to maintain the Green Belt boundary. However, the proposals later in the document to site a further 1800 dwellings in Rayleigh will require a relaxation and the use of areas of Green Belt.

Development in the Rawreth Lane area is already up to the Green belt boundary and there appears to be no other substantial areas identified in the town capable of absorbing this number of new dwellings.

Clause 4.2.6 and 4.2.7 The strategic buffer between Rayleigh and Rawreth would obviously be in Rawreth Parish and any further development in the area would, in fact, have to take place in the parish of Rawreth unless the boundaries are redrawn.

Clause 4.3.8 It needs to be emphasised that the country park is at the eastern boundary of the district.

Clause 4.4.5.iii States that the area is remote and undeveloped. This is not true of the area around Battlesbridge at the western boundary of the district

Clause 4.4.9 This does not appear to be included on the key diagram

Clause 4.4.14 Would it be appropriate to indicate which of these sites are open for public access?

Clause 4.5.4 Windfall sites should be taken into account since they contribute to a reduction in pressure on the Green Belt

Clause 4.5.5 Central Government has stated that Thames Gateway development will be housing led and it follows from this that it is not possible to rely on infrastructure improvements

Clause 4.5.6 This is a very laudable aim. However, a similar statement was removed from the Replacement Local Plan prior to adoption. It is considered essential to retain this.

Clause 4.5.9. It is true that the Council has no control over the total number of dwellings. However, the East of England Plan does not specify their distribution. This is something that the Council has complete control over and this should be made clear.

Clause 4.5.11 The second bullet point is not specific enough, densities should be set out in this document.

Clause 4.5.12. Windfall development should not be ignored.

Clause 4.6.3. Though these areas have a good range of services they are under extreme pressure and are not able to accommodate further increases in population without considerable upgrading.

Clause 4.6.4. These areas should be brought up to a standard which would make them suitable to take a fairer share of increased development.

Clause 4.6.9. It is incorrect to state that all settlements have had more than their fair share of housing .There is one area that has had more than any other:- WESTERN RAYLEIGH

Clause 4.6.10 It is considered that the allocation must take into account the fact that Rayleigh has taken the lions' share of development in the district to date.

It is unacceptable that the majority of the proposed future development should fall in Rayleigh. The split must be reviewed.

Clause 4.6.18. This is at variance with the fact that the A127 is not anymore considered by the Government to be the main road distributor for S.E.Essex. This is proven by the fact that the A13 is now the main trunk road connecting to London and the A127 has been demoted to a mere County route.

Clause 4.6.20 This is no worse than the daily congestion in Rawreth Lane which is due to get worse on completion of the ASDA superstore.

Clause 4.6.21 Mentions protection of Rochford's Conservation Area. There is no similar statement about Rayleigh's Conservation Area

Clause 4.6.23 Believe the figures are flawed and unbalanced

Clause 4.6.23 This statement needs to be far more robust with greater emphasis on transport infrastructure etc. improvements preceding housing development

Clause 4.7.10 Much affordable housing appears to be being purchased on a "buy to let" basis for profit. The policy needs to contain means for discouraging this practice.

Clause 4.8 Employment. For the forseeable future the main employment pattern is likely to be commuting to London. Until higher salary employment is the norm. in the district it will be difficult if not impossible to meet these targets.

Clause 4.9.9 Generally agree though 25% appears to be a rather low figure.

Clause 4.10.3. Corporate identities etc. have often in the past been used as excuses to ignore Conservation Area requirements, particularly with shop fronts and signage. This statement needs to be made more robust.

Clause 4.10.8. Should be reworded to contain specific reference to Conservation Areas

Clause 4.14.3. This is impractical:-Where hotels don't already exist in town centre locations there is not much possibility of hotel development due to lack of suitable sites

Section 5 Implementation & Monitoring

Clause 5.4 Rochford and Castle Point PCT no longer exists as a separate entity.
Also the steering group should include secular groups as well as faith groups eg: Essex Humanists (who are affiliated to The British Humanist Association)

Comment

Rochford District Core Strategy Regulation 26 Draft

Representation ID: 646

Received: 03/07/2007

Respondent: Mr G Marshall

Representation Summary:

Section 4.10
I would comment that I agree with protecting the existing identity of the district, particularly within the conservation areas, however, new development should not be forced down the path of unsatisfactory pastiche

Full text:

Core Strategy Preferred Options (Regulation 26) Consultation Response

In response to the council's invitation for consultation comment on the Regulation 26 draft of the Core Strategy Preferred Options, I attach my views on some of the issues raised within the consultation document. I have also delivered a hard copy of this response to the council's offices this afternoon.

My comments are not a comprehensive critique of the consultation document and are limited to those issues that I either have an understanding of, or which I feel are most closely related to issues that are important to me at this point in time. Broadly speaking, there are no items to which I object and I consider that the Regulation 26 draft is comprehensive and well rounded. My comments are merely to either suggest some additional considerations on a few points or to fully support the council's preferred options on others.

With Andrew Meddle's departure, I would like to take this opportunity to introduce myself to you and clarify the reason for my participation in the LDF consultation process. We met at the first of the Core Strategy 'Roadshow' exhibitions at Hockley Parish Hall. I am one of two owners of a site to the south of Sutton Court Drive and to the east of Southend Road/Warner's Bridge Chase, and I have been promoting the site for release from the green belt for residential development on the grounds of sustainability. I have taken the liberty of attaching (with my consultation response) a copy of the submission that I made to the council in February this year in response to the Allocations Development Plan Document questionnaire. I also attach a copy of the site plan that I submitted at that time.

I would be obliged if you would acknowledge receipt of this consultation response in due course.

I trust that my enclosed consultation response is of use to the council and if I may be of any further assistance in the future, please do not hesitate to contact me.

Comment

Rochford District Core Strategy Regulation 26 Draft

Representation ID: 726

Received: 29/06/2007

Respondent: Swan Hill Homes Limited

Agent: Charles Planning Associates Ltd

Representation Summary:

Swan Hill supports the provision of policies to protect the intrinsic character and historic environment of the District. However, Swan Hill considers that these policies should not be overly prescriptive. Each planning application should be assessed on its own merits, and the policies should allow for a degree of flexibility in the design of schemes so as to not stifle the creation of new, innovative schemes, and meet the density target set out in PPS3.

7.2 In respect of the provision of a new 'Local List' of buildings, Swan Hill considers that this is inappropriate, contrary to the provisions of PPS7, which seeks to remove unnecessary local designations. If a building is worthy of listing, it should be listed. The Local List cannot afford a building any form of statutory protection, and the List should therefore not be prepared.

Full text:

1.0 Instructions and Introduction

1.1 Charles Planning Associates Limited (Chartered Town Planners) is Instructed by Swan Hill Homes Limited (Swan Hill) to prepare and submit representations on their behalf in respect of the Rochford District Local Development Framework: Core Strategy Preferred Options Development Plan Document.

1.2 The comments refer to the relevant paragraph numbers in the Preferred Options document, as appropriate.

1.3 The comments set out in this submission are intended to assist the District Council in taking forward its Local Development Framework. It is our intention to continue to be involved in the preparation process and we look forward to the opportunity to comment further at the Submission Version stage. Prior to the assessment of the Core Strategy Preferred Options, Swan Hill has serious concerns regarding the way the document has been prepared. The lack of clearly defined policies means that these will only appear in the Submission Version of the document, giving the Council no opportunity to make amendments, and limited opportunity for Consultees to see the exact policy position of the Council. This is considered insufficient, and is likely to result in the document being considered to be unsound in front of an Inspector.

1.4 If you have any queries regarding the content of this submission then please do not hesitate to contact:

Peter Kneen BSc (Hons) MSc MRTPI
Planner

Charles Planning Associates Limited
1644-1645 Parkway
Solent Business Park
Whiteley
Hampshire
PO15 7AH

Tel: 01489 580853 Fax: 01489 580913 E-mail: peter.kneen@charlesplanning.co.uk


2.0 Section 4.2: Green Belt and Strategic Buffers

2.1 As set out in the earlier representations to the Issues and Options Stage of the Core Strategy, Swan Hill considered that the District Council need to set out that a review of the Green Belt boundary will be needed as part of the Rochford Local Development Framework. Given the housing requirements of the Draft East of England Plan, and the changes as a result of the publication of PPS3: Housing in November 2006, there will be a need for the District Council to identify areas where a Green Belt boundary review would be acceptable.

2.2 Many local authorities have recently seen their Core Strategies fail the Tests of Soundness due to a failure to clarify in their Core Strategy adequate awareness of how they will meet the strategic housing requirements of the Draft Regional Spatial Strategy. As such, it is essential within the Core Strategy to establish general locations suitable for the expansion of settlements into the Green Belt. This should not be as site specific as determining the exact parameters of settlement expansions, but should include a general assessment around settlements where development would not result in the failure to comply with the general objectives of the Green Belt.

2.3 It is clear from the approach to general locations of development (as set out in Section 4.6 of this version of the Core Strategy) that the Council have accepted the need to expand into the Green Belt, and that where expansion is acceptable, it should occur in the most sustainable locations, i.e. the top and second tier settlements. As such, Swan Hill considers that the Green Belt policy should set out that the Green Belt boundary will be reviewed as part of the Rochford Local Development Framework and the Key Diagram should be amended to highlight the general direction where such an encroachment has been assessed to be acceptable.

2.4 A failure to undertake an assessment at this stage could result in the Core Strategy being determined to be unsound, as it would not provide sufficient information from which the rest of the Local Development Framework could feasibly operate. For example, without the spatial framework in the Core Strategy setting out the general locations into which development in the Green Belt would be acceptable, other documents, such as the Allocations DPD and Development Control Policies DPD could not operate. The Council need development at the edge of existing settlements, and as the Core Strategy currently stands, this is not achievable as all the settlements are bounded by Green Belt land, which under the provisions of PPG2: Green Belts, is protected from inappropriate development. The Hertfordshire Structure Plan made provision for the review of its Green Belt boundary (Policy 5), and could therefore be used as a guide to the approach the District Council could take in the preparation of their Green Belt policy for the Core Strategy.

2.5 In addition, PPS7: Sustainable Developments in Rural Areas sets out that local landscape designations should only be maintained where it can clearly show that other criteria-based planning policies cannot provide the necessary protection. In the case of the Strategic Buffers identified in the Core Strategy document, Swan Hill is not convinced of the need for these designations. Their primary purpose is to restrict settlements coalescence, however, the District benefits from the countryside being protected by the Green Belt, which was established to maintain the openness of the countryside and prevent urban sprawl which could lead to settlement coalescence. In view of this, Swan Hill considers that the provision of Strategic Buffers are unnecessary, where the existence of the Green Belt offers more than sufficient protection from settlement coalescence.

3.0 Section 4.5: Housing Numbers and Phasing

3.1 Swan Hill recognises the importance of seeking to concentrate new developments mainly in the existing urban areas on previously developed land. However, given the character of the District, and the strategic housing requirement of the Draft East of England Plan, Swan Hill supports the approach that the Council must also make provision for additional development on the edge of existing settlements. As set out in paragraph 4.5.10, Swan Hill supports the approach that green field land on the edge of settlements that are released for development should not have a significant impact on the characteristics of the Green Belt, and that densities are in line with the objectives of PPS3 and reflect the local character of the settlement to which the extension is proposed.

4.0 Section 4.6: General Development Locations

4.1 As set out in Section 2.0, Swan Hill supports the approach taken by the Council towards the need to expand settlements into the Green Belt to meet the strategic housing requirements and that is must be done only in the most sustainable locations, and where the objectives of the Green Belt are not compromised. Swan Hill has considered further the Council's position towards only providing 10% of the strategic housing requirement to the second tier settlements (Canewdon, Great Wakering and Hullbridge), with 90% being located in the top tier settlements (Rochford/Ashingdon, Hockley/Hawkwell and Rayleigh). This approach is generally accepted as it conforms to the principles of providing developments in sustainable locations, whilst also recognising that the smaller settlements need additional development to ensure services and facilities remain viable. Swan Hill welcomes the recognition that the provision of development on larger sites, in these top and second tier settlements can positively contribute to infrastructure provision, particularly in areas where there is an identified need for improvements.

4.2 However, as set out above, Swan Hill has serious concerns over the lack of direction the Council has taken towards identifying specific locations around the top and second tier settlements where sustainable urban extensions can be achieved. Without identifying these general locations, other Development Plan Documents cannot function to bring forward these allocations. As such, Swan Hill considers that the Core Strategy should be amended to address the need to review the Green Belt boundaries as a means to ensuring these minor extensions to the settlements can occur without offending Green Belt policy.

4.3 In respect of development in the other smaller settlements, below the top and second tier, Swan Hill supports the District Council's approach not to provide any identified allocations of land, but to simply reply on providing affordable housing in these locations, to meet only identified local need, through the provision of a rural exception sites policy.

5.0 Section 4.8: Affordable Housing

5.1 Swan Hill recognises the importance of providing affordable houses in new residential developments, in order to meet the specific needs of the existing population. In this regard, Circular 06/98: Planning and Affordable Housing and the Draft East of England Plan sets out provisions and thresholds for affordable housing as part of new residential developments.

5.2 As set out above, and in accordance with the provisions of PPS3, Swan Hill supports the Council's approach towards the inclusion of a Rural Exceptions Site Policy. In this regard, Swan Hill considers that the District Council have sought to apply the correct threshold from which new developments should provide affordable housing. Having regard to the Council's approach towards seeking a smaller number of larger sites around the District to meet their strategic housing requirements, setting the threshold at 25 dwellings or more would allow for a greater provision of affordable housing to be provided on these larger sites, without being a burden on developers seeking smaller-scale infilling type developments within the existing urban area. Setting a provision of 30% of all new houses on the larger scale sites would help provide a significant element of affordable housing to meet the needs of the local community.

6.0 Section 4.9: Good Design and Design Statements

6.1 In respect of the Council's preferred option that Design Briefs will be required in advance of the submission of all major planning applications, Swan Hill considers that the inclusion of this assessment is an unnecessary duplication of National policy and statutory requirement, particularly for major developments. The General Development Procedure Order (as amended) makes the submission of a Design and Access Statement for most types of development a Statutory requirement, and as such, it is considered unnecessary to include it in policies in the Core Strategy.

6.2 In respect of the issue regarding 'lifetime housing standards' and the Code for Sustainable Homes, Swan Hill recognises the importance of providing houses that conserve energy and minimise waste, and supports the requirement that all new homes comply with the minimum standards set out in the Governments Code for Sustainable Homes, particularly given that it could in the future become a mandatory requirement. In respect of the provision of 25% of all new homes meeting the lifetime housing standard, it is considered that many of the requirements of lifetime homes are presently controlled under Building Regulations provision, and would not therefore need to form part of any planning policy document. Swan Hill considers that it is appropriate to include within the Core Strategy the District Council's approach towards the provision of lifetime homes and that they would encourage developers go beyond the standard Building Regulations requirements in order comply, where appropriate and possible, with these standards.

7.0 Section 4.10: Character of Place and the Historic Environment

7.1 Swan Hill supports the provision of policies to protect the intrinsic character and historic environment of the District. However, Swan Hill considers that these policies should not be overly prescriptive. Each planning application should be assessed on its own merits, and the policies should allow for a degree of flexibility in the design of schemes so as to not stifle the creation of new, innovative schemes, and meet the density target set out in PPS3.

7.2 In respect of the provision of a new 'Local List' of buildings, Swan Hill considers that this is inappropriate, contrary to the provisions of PPS7, which seeks to remove unnecessary local designations. If a building is worthy of listing, it should be listed. The Local List cannot afford a building any form of statutory protection, and the List should therefore not be prepared.

8.0 Section 4.11: Landscaping

8.1 Swan Hill recognises the importance of a suitable landscaping scheme in new developments, particularly where a suitable landscaping scheme could significantly enhance the presence of new developments on the existing environment. It is also important to highlight that under the provisions for Design and Access Statements, landscaping forms an integral part, and should in many cases be sufficient to essentially set out the basis for a landscaping scheme in many small scale developments.

8.2 Swan Hill recognises the importance of landscaping schemes on larger development proposals, and that they should form part of the planning application pack, in order to provide a basis from which the Council and Developer would negotiate as suitable scheme. Swan Hill considers that it would be important as part of any landscaping policy proposal to establish what types of planning applications the Council would want a more detailed landscaping scheme. However, this should only occur in the relevant Development Plan Document, not in the Core Strategy, but in the Generic Development Control Policies DPD. It is considered sufficient within the Core Strategy to establish the approach to landscaping policies the Council will take, and to state that more detailed specific requirements for such policies will be set out within the Development Control document.

9.0 Section 4.12: Energy and Water Conservation, and Renewable Energy

9.1 With regard to the preferred options set out in this Section, each has been considered in turn below:

9.2 In respect of the issues of policies seeking to reduce the need to travel and encourage the use of energy efficient transport, this is generally accepted by Swan Hill as it conforms with National policy guidance in PPG13, in locating developments that reduce the need to travel, particularly by private car.

9.3 In respect of the second issue, this policy position is an unnecessary duplication of policy provisions already set out in Section 4.9 above. Swan Hill accepts in general the provision of policies regarding the development of new houses compliant with the Code for Sustainable Homes, particularly given that this could become a mandatory requirement in the future.

9.4 In respect of the District Council's approach to seek that all new developments in the District are carbon neutral should not be set out as a policy of the Core Strategy, but merely defined as an aspiration of the Council. Seeking to require all new developments to be carbon neutral is unlikely to be achievable without resulting in it becoming a disincentive to developers to develop in the District. Swan Hill recognises the importance this position has taken recently by Government, and considers that it is important to incorporate within developments 'elements' of energy efficiency and means to reduce waste. However, in many instances it might not be a viable option to seek to impose such arduous requirements on all developments. This could ultimately result in the Council struggling to meet strategic requirements for housing and employment provision.

9.5 As set out above, whilst Swan Hill recognises the importance of including water and energy conservation measures within developments, it is considered that each development should be considered on its own individual merits and site specific circumstances. Given that Swan Hill accepts the approach that all new homes should be constructed in compliance with the minimum standards in the Code for Sustainable Homes, it is considered unnecessary to include policy provisions regarding water and energy conservation measures, as this already forms part of the minimum requirements under the Code.





10.0 Section 4.13: Compulsory Purchase & Planning Obligations

10.1 Swan Hill accepts that developments can have potential impacts upon existing infrastructure and as such developments should contribute towards improvements to, or contribution towards new infrastructure, commensurate with the level of need generated by the development.

10.2 Any form of planning contribution resultant from a planning application should be based on a site-by-site basis, and allow for a degree of flexibility so that contributions sought are achieved through negotiations between the developer and the District Council. All contributions should be based on an up-to-date assessment of existing services and facilities, in order to ensure developments do not result in a surplus or deficiency of provision or contribution.

11.0 Leisure, Tourism and Community Facilities:

11.1 In general terms, countryside policies should make provision for the allowance of leisure, recreation and tourism in the countryside, where a countryside location is essential. Swan Hill would support this approach. Further, it is considered appropriate to provide policy provisions for financial contributions in the Core Strategy towards leisure and community facilities, where appropriate. This policy approach should be flexible and the Council should seek to consider each application on its own merits, and how it would impact on existing leisure and community facilities.

Comment

Rochford District Core Strategy Regulation 26 Draft

Representation ID: 731

Received: 29/06/2007

Respondent: Essex County Council

Representation Summary:

Although the Historic Environment is mentioned throughout the document there is a lack of bullet points or policies under section 4.10 (Character of Place and the Historic Environment). Most of the sub sections in 4.10 relate to the built environment and there is little which relates to both Rochford's important historic landscape and surviving archaeological deposits. It is recommended that an additional bullet point be added on the important historic landscape and archaeological deposits of the District. A suggested wording is:

The district has a diverse historic landscape and extensive surviving archaeological deposits. There is the potential to protect and enhance the historic environment assets and their surroundings both within development areas, and in rural and coastal landscape and as a first step the council has commissioned a Historic Environment Characterisation Project.

Full text:

Thank you for consulting the historic environment management team on the Rochford Core Strategy Preferred Options.

Within the core strategy document heritage sites and the historic environment are mentioned under sections 2.2, 2.5, 2.19, 2.21 and 2.29. Rochford have already commissioned a Historic Environment Characterisation Project which clearly identifies the importance of all three strands of the historic environment comprising the historic landscape, built heritage and the archaeological deposits.

Although the Historic Environment is mentioned throughout the document there is a lack of bullet points or policies under section 4.10 (Character of Place and the Historic Environment). Most of the sub sections in 4.10 relate to the built environment and there is little which relates to both Rochford's important historic landscape and surviving archaeological deposits. It is recommended that an additional bullet point be added on the important historic landscape and archaeological deposits of the District. A suggested wording is:

The district has a diverse historic landscape and extensive surviving archaeological deposits. There is the potential to protect and enhance the historic environment assets and their surroundings both within development areas, and in rural and coastal landscape and as a first step the council has commissioned a Historic Environment Characterisation Project.

Also it would be appropriate to add a further bullet point in the highlighted section stating:

The council will provide policies to both protect and enhance the historic environment protecting the Districts Sense of Place.

Comment

Rochford District Core Strategy Regulation 26 Draft

Representation ID: 734

Received: 03/07/2007

Respondent: Mr & Mrs G Dunn

Representation Summary:

Please keep the overall character of houses and locations as they have been for many years - remember new design must be in harmony and sympathy as Rayleigh has years of history to upkeep - no other town is quite like it.

Full text:

Please keep the overall character of houses and locations as they have been for many years - remember new design must be in harmony and sympathy as Rayleigh has years of history to upkeep - no other town is quite like it.