BASE HEADER
No
Preferred Options 2025
ID sylw: 105784
Derbyniwyd: 07/03/2025
Ymatebydd: Wates Developments Ltd
Asiant : Savills
We object to Draft Policy Direction 39 on the basis that evidence has yet to be provided to justify the inclusion of an Environmental Net Gain (ENG) policy, nor any information about how such a policy would function in practice. To our knowledge, there are no other examples of adopted Local Plan policies requiring ENG or any well-developed metric for measuring ENG.
We also consider that the inclusion of an ENG policy could place a further financial burden on developers in addition to the statutory requirement to deliver 10% Biodiversity Net Gain, as well as other requirements to provide on-site public open space, green infrastructure and Sustainable Drainage Systems. We remain concerned that the introduction of a further requirement could impact viability of development sites and lead to a further reduction in net developable areas.