BASE HEADER
RDS6: The Council is proposing to make provision for 22.5 hectares of new employment land
Gwrthwynebu
Revised Development Strategy
ID sylw: 52878
Derbyniwyd: 15/07/2013
Ymatebydd: Mr K Craven
4.5.12 Estimates 10,200 new jobs will be created over the Plan period. This equates to approx. 700 new jobs per year. This is based on forecasts that I suggest are out of date as growth is not meeting previous projections made. How many jobs were created in the district over the past 5 years?
Gwrthwynebu
Revised Development Strategy
ID sylw: 53083
Derbyniwyd: 17/07/2013
Ymatebydd: Barford, Sherbourne and Wasperton Joint Parish Council
This is excessive and is not supported by any sensible facts - employment should be driven by clear demand from industry/commerce not fanciful desk top thinking - the tables show quite clearly that of the 17.5 hectares balance to be allocated, fully 16.5 are there only as "margin to provide flexibility of supply". This is wasteful use of valuable and productive land and must be reduced.
Cefnogi
Revised Development Strategy
ID sylw: 53096
Derbyniwyd: 17/07/2013
Ymatebydd: Boston Fieldgate Property Consultants
However alternate uses at Common Lane Industrial Estate can only be considered if adequate provision is made for employment land - B1/2/8 uses that currently exist at Common Lane on the Thickthorn site. Financial support may be required to facilitate these existing employers in town to relocate and keep their workforce in the town
Gwrthwynebu
Revised Development Strategy
ID sylw: 53111
Derbyniwyd: 17/07/2013
Ymatebydd: John Murphy
Grossly overstated - too much 16.5/17.5ha relate to flexibility not need - better planning could drastically reduce this to the benefit of all.
Gwrthwynebu
Revised Development Strategy
ID sylw: 53832
Derbyniwyd: 28/07/2013
Ymatebydd: Mrs Carol GABBITAS
Current land next to Warwick Gates is presently allocated as employment land and is standing empty. There is no requirement for this.
Gwrthwynebu
Revised Development Strategy
ID sylw: 53974
Derbyniwyd: 28/07/2013
Ymatebydd: Mrs Sharon Stevens
This expansion and use of land which could otherwise be used for say housing is ridiculous and will only generate a need for more houses and infrastructure. If housing numbers were kept at a realistic level for the district this would not be necessary
Gwrthwynebu
Revised Development Strategy
ID sylw: 54291
Derbyniwyd: 29/07/2013
Ymatebydd: Mr Andrew Illsley
I object the amount required is over estimated, there has been industrial land empty for 15 years, and now we are told we need to allocate more ?
Cefnogi
Revised Development Strategy
ID sylw: 54339
Derbyniwyd: 29/07/2013
Ymatebydd: Midland Red (South) Ltd. dba Stagecoach Midlands
Stagecoach Midlands has no comment to make.
Gwrthwynebu
Revised Development Strategy
ID sylw: 54492
Derbyniwyd: 29/07/2013
Ymatebydd: Mr John Watkins
The scale of this development is totally inappropriate, not wanted by local residents and must be stopped.
Gwrthwynebu
Revised Development Strategy
ID sylw: 54514
Derbyniwyd: 29/07/2013
Ymatebydd: Miss Carol Duckfield
The plan doesn't seem to include any commercial development within any of the villages where residential property is planned - surely trying to include a modest level of development in these location would be beneficial
Gwrthwynebu
Revised Development Strategy
ID sylw: 54590
Derbyniwyd: 01/08/2013
Ymatebydd: Ms Celia Baly
RDS is unsound due to the excessive allocation of employment land and the inclusion of the sub-regional employment site which puts further strain on the provision of housing within the District. This creates problems rather than solutions and makes the Development Strategy unsustainable and undeliverable.
RDS identifies a need for 36ha of employment land for the period 2011-2030. Given 48ha of available employment land already exists there is an excess of employment land. This excess of 12 hectares provides ample contingency. By a combination of land re-allocation and unreasonable 60% contingency WDC's approach turns a substantiated excess of employment land into a claimed deficit of employment land, resulting in a 66 hectares unsubstantiated need for employment..
The misleading claimed deficit is then used to try to justify development of new employment land in the open countryside and in the Green Belt at Thickthorn, the Gateway site and the Southern sites
By protecting existing employment land and by making more reasonable assessments of buffers and flexibility, there is ample employment land available without development in the Green Belt.
Gwrthwynebu
Revised Development Strategy
ID sylw: 55142
Derbyniwyd: 23/07/2013
Ymatebydd: Rod Wheat
By leaving existing identified areas of employment land alone, and employing reasonable and common-sense assessments of the levels of flexibility and error-margins required, there is already more than enough employment land available to WDC, without having to undertake further development in the green-belt.
Already a gross over-supply of employment land available. Assessment of employment land requirements is unjustifiable, idiosyncratic, and frankly bizarre. The inflated guesstimate of requirements turns a proven and substantial over-provision into an unjustified deficit. Most of this requirement will be provided by our ever-dwindling reserves of green-belt.
Table 4 attempts to justify the fantastical and fatuous deficit claim. Subsequently, in section 4.5.8, the 17.5ha of the 'balance to be allocated' is arbitrarily and randomly inflated by a completely unjustified 5ha (29%) to 22.5ha in order to allow for flexibility and the assumptions used in modelling and forecasting. What is the 16.5ha of the 'Margin to provide flexibility of supply' designed for if not "To allow for flexibility and the assumptions used in modelling and forecasting"?
Ridiculous for WDC to double-bubble this figure by re-including the same thing again. Presumes this is a try-on designed to artificially inflate these numbers to suit WDC's aims over those of its ratepayers and parish councils? The whole rationale behind a margin of error is that it is a plus or minus figure - it can go up or down (and should be thus marked) - but in WDC's case, it only ever works in the one direction - and that is always to the detriment of our environment and green-belt.
Council attempts to claim that 'it is reasonable to provide an additional 22.5 hectares of employment land'. Under no circumstances is this a reasonable or a justifiable thing to do. This claim is an entirely false construct, based on an entirely false premise, and it is entirely and demonstrably unreasonable.
The 16.5ha of the 'Margin to provide flexibility of supply' is already an enormous 46% margin over and above requirements - being the 36ha of 'Net employment land requirement'. Adding in WDC's 5ha inflates this already huge 'margin of flexibility' up to 60%. Something is dreadfully wrong with the forecasting.
Cannot afford for Warwickshire's ever-diminishing green-belt to be squandered in such a wasteful, unaccountable and profligate fashion. Rather than the 16.5ha to 21.5ha that WDC currently propose, a much more reasonable, justifiable and acceptable 'Margin to provide flexibility of supply' would be around 1.8ha to 3.6ha (5% to 10%), but certainly no more.
Concerned re taking areas previously identified as Employment Land out of that use, and instead allocating them to the house building plans. Aware that this is being dealt with by a large number of local and parish councils - agrees with their criticisms and arguments.
Table 4 - on the 'Demand' side there is 13.5ha of land identified as 'Potential re-development of existing employment areas'. Figure has been brought about by Council's convoluted but erroneous logic. It is only necessary to include it now because of the unjustified and arbitrary 'change of use' of existing employment land to housing use. Subsequent sections spell out in detail how WDC are in fact planning to remove a total of 19.5ha of existing employment land, in order to replace it with 13.5ha of new employment land elsewhere. However in section 4.3.9, and despite the use (twice) of the word 'some', and the specific inclusion of 'and employment use', nowhere in this section does it mention WDC's actual intention, which is to take all of this land out of employment use. Employment land should be redeveloped as employment land - as was intended and envisaged originally. Left to conclude that WDC are not convinced that the demand for employment land is there. Previous attempts at justification for this topic (Gateway) are weak.
Unacceptable to take brownfield land out of employment use and then immediately replace it with employment greenfield land, especially when much of this will be green-belt land.
Gwrthwynebu
Revised Development Strategy
ID sylw: 55288
Derbyniwyd: 02/08/2013
Ymatebydd: Archy Muir
RDS is unsound due to the excessive allocation of employment land and the inclusion of the sub-regional employment site which puts further strain on the provision of housing within the District. This creates problems rather than solutions and makes the Development Strategy unsustainable and undeliverable.
RDS identifies a need for 36ha of employment land for the period 2011-2030. Given 48ha of available employment land already exists there is an excess of employment land. This excess of 12 hectares provides ample contingency. By a combination of land re-allocation and unreasonable 60% contingency WDC's approach turns a substantiated excess of employment land into a claimed deficit of employment land, resulting in a 66 hectares unsubstantiated need for employment..
The misleading claimed deficit is then used to try to justify development of new employment land in the open countryside and in the Green Belt at Thickthorn, the Gateway site and the Southern sites
By protecting existing employment land and by making more reasonable assessments of buffers and flexibility, there is ample employment land available without development in the Green Belt.
Gwrthwynebu
Revised Development Strategy
ID sylw: 55289
Derbyniwyd: 02/08/2013
Ymatebydd: Kirsty Muir
RDS is unsound due to the excessive allocation of employment land and the inclusion of the sub-regional employment site which puts further strain on the provision of housing within the District. This creates problems rather than solutions and makes the Development Strategy unsustainable and undeliverable.
RDS identifies a need for 36ha of employment land for the period 2011-2030. Given 48ha of available employment land already exists there is an excess of employment land. This excess of 12 hectares provides ample contingency. By a combination of land re-allocation and unreasonable 60% contingency WDC's approach turns a substantiated excess of employment land into a claimed deficit of employment land, resulting in a 66 hectares unsubstantiated need for employment..
The misleading claimed deficit is then used to try to justify development of new employment land in the open countryside and in the Green Belt at Thickthorn, the Gateway site and the Southern sites
By protecting existing employment land and by making more reasonable assessments of buffers and flexibility, there is ample employment land available without development in the Green Belt.
Gwrthwynebu
Revised Development Strategy
ID sylw: 55311
Derbyniwyd: 02/08/2013
Ymatebydd: Alan Williams
Considers the strategy irrational due to the excessive amount of employment land allocated and the inclusion of the sub-regional employment site. Within this geographic area there is an excessive amount of land already available and that within the logistics sector, many of the existing warehouses are far from being fully utilised. The employment claims within the various reports especially the GL Hearn report on the 'Sub-Regional Employment Site' are spurious at best.
RDS contrary to NPPF policies on urban regeneration and the logical focus on making 'brownfield' sites a priority versus designated greenbelt areas, which is not reflected in the 'Sub-Regional Employment Site'. The RDS fails on many counts to follow the principles of the NPPF policies and should be revised to reflect that actual situation that exists within the local area and provide an accurate reflection of future requirements.
Gwrthwynebu
Revised Development Strategy
ID sylw: 55313
Derbyniwyd: 06/08/2013
Ymatebydd: Mr & Mrs Stuart & Janet Jordan
RDS is unsound due to the excessive allocation of employment land and the inclusion of the sub-regional employment site which puts further strain on the provision of housing within the District. This creates problems rather than solutions and makes the Development Strategy unsustainable and undeliverable.
RDS identifies a need for 36ha of employment land for the period 2011-2030. Given 48ha of available employment land already exists there is an excess of employment land. This excess of 12 hectares provides ample contingency. By a combination of land re-allocation and unreasonable 60% contingency WDC's approach turns a substantiated excess of employment land into a claimed deficit of employment land, resulting in a 66 hectares unsubstantiated need for employment..
The misleading claimed deficit is then used to try to justify development of new employment land in the open countryside and in the Green Belt at Thickthorn, the Gateway site and the Southern sites
By protecting existing employment land and by making more reasonable assessments of buffers and flexibility, there is ample employment land available without development in the Green Belt.
Gwrthwynebu
Revised Development Strategy
ID sylw: 55347
Derbyniwyd: 31/07/2013
Ymatebydd: Amey
RDS is unsound due to the excessive allocation of employment land and the inclusion of the sub-regional employment site which puts further strain on the provision of housing within the District. This creates problems rather than solutions and makes the Development Strategy unsustainable and undeliverable.
RDS identifies a need for 36ha of employment land for the period 2011-2030. Given 48ha of available employment land already exists there is an excess of employment land. This excess of 12 hectares provides ample contingency. By a combination of land re-allocation and unreasonable 60% contingency WDC's approach turns a substantiated excess of employment land into a claimed deficit of employment land, resulting in a 66 hectares unsubstantiated need for employment..
The misleading claimed deficit is then used to try to justify development of new employment land in the open countryside and in the Green Belt at Thickthorn, the Gateway site and the Southern sites
By protecting existing employment land and by making more reasonable assessments of buffers and flexibility, there is ample employment land available without development in the Green Belt.
Gwrthwynebu
Revised Development Strategy
ID sylw: 55349
Derbyniwyd: 01/08/2013
Ymatebydd: Mr Antonio Martin-Castano
RDS is unsound due to the excessive allocation of employment land and the inclusion of the sub-regional employment site which puts further strain on the provision of housing within the District. This creates problems rather than solutions and makes the Development Strategy unsustainable and undeliverable.
RDS identifies a need for 36ha of employment land for the period 2011-2030. Given 48ha of available employment land already exists there is an excess of employment land. This excess of 12 hectares provides ample contingency. By a combination of land re-allocation and unreasonable 60% contingency WDC's approach turns a substantiated excess of employment land into a claimed deficit of employment land, resulting in a 66 hectares unsubstantiated need for employment..
The misleading claimed deficit is then used to try to justify development of new employment land in the open countryside and in the Green Belt at Thickthorn, the Gateway site and the Southern sites
By protecting existing employment land and by making more reasonable assessments of buffers and flexibility, there is ample employment land available without development in the Green Belt.
Gwrthwynebu
Revised Development Strategy
ID sylw: 55351
Derbyniwyd: 31/07/2013
Ymatebydd: Mrs Margaret Wallis
RDS is unsound due to the excessive allocation of employment land and the inclusion of the sub-regional employment site which puts further strain on the provision of housing within the District. This creates problems rather than solutions and makes the Development Strategy unsustainable and undeliverable.
RDS identifies a need for 36ha of employment land for the period 2011-2030. Given 48ha of available employment land already exists there is an excess of employment land. This excess of 12 hectares provides ample contingency. By a combination of land re-allocation and unreasonable 60% contingency WDC's approach turns a substantiated excess of employment land into a claimed deficit of employment land, resulting in a 66 hectares unsubstantiated need for employment..
The misleading claimed deficit is then used to try to justify development of new employment land in the open countryside and in the Green Belt at Thickthorn, the Gateway site and the Southern sites
By protecting existing employment land and by making more reasonable assessments of buffers and flexibility, there is ample employment land available without development in the Green Belt.
Gwrthwynebu
Revised Development Strategy
ID sylw: 55352
Derbyniwyd: 31/07/2013
Ymatebydd: Sheila Woolf
RDS is unsound due to the excessive allocation of employment land and the inclusion of the sub-regional employment site which puts further strain on the provision of housing within the District. This creates problems rather than solutions and makes the Development Strategy unsustainable and undeliverable.
RDS identifies a need for 36ha of employment land for the period 2011-2030. Given 48ha of available employment land already exists there is an excess of employment land. This excess of 12 hectares provides ample contingency. By a combination of land re-allocation and unreasonable 60% contingency WDC's approach turns a substantiated excess of employment land into a claimed deficit of employment land, resulting in a 66 hectares unsubstantiated need for employment..
The misleading claimed deficit is then used to try to justify development of new employment land in the open countryside and in the Green Belt at Thickthorn, the Gateway site and the Southern sites
By protecting existing employment land and by making more reasonable assessments of buffers and flexibility, there is ample employment land available without development in the Green Belt.
Gwrthwynebu
Revised Development Strategy
ID sylw: 55354
Derbyniwyd: 29/07/2013
Ymatebydd: The Community Group
The RDS is unsound due to the excessive allocation of employment land and the inclusion of the sub-regional employment site which in turn put further strain on the provision of housing within the District.
By a combination of land re-allocation and unreasonable 60% contingency it is claimed that "it is reasonable to provide an additional 22.5 hectares of employment land".
The misleading claimed deficit is then used to try to justify development of new employment land in the open countryside and in the Green Belt:
* Thickthorn (8ha) between Kenilworth and the A46 and; [Green Belt]
* Part of the Gateway site (6.5ha) around Baginton and Coventry Airport; [Green Belt]; and
* Southern sites (south of Warwick and Whitnash) (8ha) [Greenfield]
The RDS goes on to allocate a "Sub-Regional Employment Site".
The Regional Spatial Strategy has been abolished but the justification still relies on its policies such as the Coventry & Warwickshire Regeneration Zone. This is directly in conflict with Government policy on the abolition of the RSS and makes the proposed strategy unsound.
The "Sub-Regional Employment Site" described in the consultation document, was written before the planning application for Gateway was considered in June 2013, and demonstrates clear pre-determination of that application.
The development would have a detrimental effect on many existing employment sites throughout the region that remain largely undeveloped.
These provide perfectly adequate alternatives and the Gateway would undermine their redevelopment.
This would be contrary to NPPF policies on urban regeneration and "brownfield first" another reason why the Strategy is unsound.
GL Hearn estimated that around 8,200 jobs might be created by the development around Coventry airport of which 6,000 might be new jobs. Of the total, it is estimated that 1,200 jobs will be taken by people living in Warwick District, the remainder from elsewhere.
Warwick District has low unemployment and by contrast, Coventry, North Warwickshire, Rugby, Nuneaton and Bedworth have high unemployment.
Therefore, the Gateway site is clearly remote from the main areas of unemployment.
In considering employment need and in cooperation with neighbouring Local Planning Authorities WDC and those neighbouring LPA's should seek to direct employment land allocation where it is most needed.
By protecting existing employment land and by making more reasonable assessments of buffers and flexibility, there is ample employment land available without development in the Green Belt.
Instead WDC projections provide space for 10,200 new jobs to be created. Warwick District has a low unemployment claimant count of less than 1,500 people.
Therefore, in order to fill these employment places, it will be necessary to import people from outside the District.
This in turn results in equally inflated housing requirements in order to accommodate these expected in-migrants to the District. Housing numbers in the RDS have risen from 10,800 to 12,300 dwellings where natural growth within the District would require only 5,400. This is not planning for the objectively assessed needs of the District and it is therefore unsound.
Coalescence:
The so-called Sub-Regional Employment Site would cause coalescence of Coventry and Baginton and the proposed Thickthorn developments would erode significantly the separation between Kenilworth and Leamington. Contrary to NPPF principles.
Environment:
The NPPF requires that Local Plans should meet objectively assessed needs, unless any adverse impacts would significantly outweigh the benefits, or where specific policies indicate development should be restricted.
For example, those policies relating to sites protected under the Birds and Habitats and/or designated as Sites of Special Scientific Interest, land designated as Green Belt, Local Green Space, and Area of Outstanding Natural Beauty.
These are commonly referred to as areas of 'development restraint' where the presumption in favour of sustainable development does not apply.
The RDS should be completely revised to reflect the actual needs of the District.
Gwrthwynebu
Revised Development Strategy
ID sylw: 55356
Derbyniwyd: 02/08/2013
Ymatebydd: Victoria Fletcher
RDS is unsound due to the excessive allocation of employment land and the inclusion of the sub-regional employment site which puts further strain on the provision of housing within the District. This creates problems rather than solutions and makes the Development Strategy unsustainable and undeliverable.
RDS identifies a need for 36ha of employment land for the period 2011-2030. Given 48ha of available employment land already exists there is an excess of employment land. This excess of 12 hectares provides ample contingency. By a combination of land re-allocation and unreasonable 60% contingency WDC's approach turns a substantiated excess of employment land into a claimed deficit of employment land, resulting in a 66 hectares unsubstantiated need for employment..
The misleading claimed deficit is then used to try to justify development of new employment land in the open countryside and in the Green Belt at Thickthorn, the Gateway site and the Southern sites
By protecting existing employment land and by making more reasonable assessments of buffers and flexibility, there is ample employment land available without development in the Green Belt.
Gwrthwynebu
Revised Development Strategy
ID sylw: 55357
Derbyniwyd: 02/08/2013
Ymatebydd: Rebecca King
RDS is unsound due to the excessive allocation of employment land and the inclusion of the sub-regional employment site which puts further strain on the provision of housing within the District. This creates problems rather than solutions and makes the Development Strategy unsustainable and undeliverable.
RDS identifies a need for 36ha of employment land for the period 2011-2030. Given 48ha of available employment land already exists there is an excess of employment land. This excess of 12 hectares provides ample contingency. By a combination of land re-allocation and unreasonable 60% contingency WDC's approach turns a substantiated excess of employment land into a claimed deficit of employment land, resulting in a 66 hectares unsubstantiated need for employment..
The misleading claimed deficit is then used to try to justify development of new employment land in the open countryside and in the Green Belt at Thickthorn, the Gateway site and the Southern sites
By protecting existing employment land and by making more reasonable assessments of buffers and flexibility, there is ample employment land available without development in the Green Belt.
Gwrthwynebu
Revised Development Strategy
ID sylw: 55358
Derbyniwyd: 01/08/2013
Ymatebydd: Diane Francis
RDS is unsound due to the excessive allocation of employment land and the inclusion of the sub-regional employment site which puts further strain on the provision of housing within the District. This creates problems rather than solutions and makes the Development Strategy unsustainable and undeliverable.
RDS identifies a need for 36ha of employment land for the period 2011-2030. Given 48ha of available employment land already exists there is an excess of employment land. This excess of 12 hectares provides ample contingency. By a combination of land re-allocation and unreasonable 60% contingency WDC's approach turns a substantiated excess of employment land into a claimed deficit of employment land, resulting in a 66 hectares unsubstantiated need for employment..
The misleading claimed deficit is then used to try to justify development of new employment land in the open countryside and in the Green Belt at Thickthorn, the Gateway site and the Southern sites
By protecting existing employment land and by making more reasonable assessments of buffers and flexibility, there is ample employment land available without development in the Green Belt.
Gwrthwynebu
Revised Development Strategy
ID sylw: 55359
Derbyniwyd: 01/08/2013
Ymatebydd: Marianne Puxley
RDS is unsound due to the excessive allocation of employment land and the inclusion of the sub-regional employment site which puts further strain on the provision of housing within the District. This creates problems rather than solutions and makes the Development Strategy unsustainable and undeliverable.
RDS identifies a need for 36ha of employment land for the period 2011-2030. Given 48ha of available employment land already exists there is an excess of employment land. This excess of 12 hectares provides ample contingency. By a combination of land re-allocation and unreasonable 60% contingency WDC's approach turns a substantiated excess of employment land into a claimed deficit of employment land, resulting in a 66 hectares unsubstantiated need for employment..
The misleading claimed deficit is then used to try to justify development of new employment land in the open countryside and in the Green Belt at Thickthorn, the Gateway site and the Southern sites
By protecting existing employment land and by making more reasonable assessments of buffers and flexibility, there is ample employment land available without development in the Green Belt.
Gwrthwynebu
Revised Development Strategy
ID sylw: 55360
Derbyniwyd: 01/08/2013
Ymatebydd: Lucy Hughes
RDS is unsound due to the excessive allocation of employment land and the inclusion of the sub-regional employment site which puts further strain on the provision of housing within the District. This creates problems rather than solutions and makes the Development Strategy unsustainable and undeliverable.
RDS identifies a need for 36ha of employment land for the period 2011-2030. Given 48ha of available employment land already exists there is an excess of employment land. This excess of 12 hectares provides ample contingency. By a combination of land re-allocation and unreasonable 60% contingency WDC's approach turns a substantiated excess of employment land into a claimed deficit of employment land, resulting in a 66 hectares unsubstantiated need for employment..
The misleading claimed deficit is then used to try to justify development of new employment land in the open countryside and in the Green Belt at Thickthorn, the Gateway site and the Southern sites
By protecting existing employment land and by making more reasonable assessments of buffers and flexibility, there is ample employment land available without development in the Green Belt.
Gwrthwynebu
Revised Development Strategy
ID sylw: 55361
Derbyniwyd: 01/08/2013
Ymatebydd: D I Franklin
RDS is unsound due to the excessive allocation of employment land and the inclusion of the sub-regional employment site which puts further strain on the provision of housing within the District. This creates problems rather than solutions and makes the Development Strategy unsustainable and undeliverable.
RDS identifies a need for 36ha of employment land for the period 2011-2030. Given 48ha of available employment land already exists there is an excess of employment land. This excess of 12 hectares provides ample contingency. By a combination of land re-allocation and unreasonable 60% contingency WDC's approach turns a substantiated excess of employment land into a claimed deficit of employment land, resulting in a 66 hectares unsubstantiated need for employment..
The misleading claimed deficit is then used to try to justify development of new employment land in the open countryside and in the Green Belt at Thickthorn, the Gateway site and the Southern sites
By protecting existing employment land and by making more reasonable assessments of buffers and flexibility, there is ample employment land available without development in the Green Belt.
Gwrthwynebu
Revised Development Strategy
ID sylw: 55362
Derbyniwyd: 01/08/2013
Ymatebydd: Mr Tony Francis
RDS is unsound due to the excessive allocation of employment land and the inclusion of the sub-regional employment site which puts further strain on the provision of housing within the District. This creates problems rather than solutions and makes the Development Strategy unsustainable and undeliverable.
RDS identifies a need for 36ha of employment land for the period 2011-2030. Given 48ha of available employment land already exists there is an excess of employment land. This excess of 12 hectares provides ample contingency. By a combination of land re-allocation and unreasonable 60% contingency WDC's approach turns a substantiated excess of employment land into a claimed deficit of employment land, resulting in a 66 hectares unsubstantiated need for employment..
The misleading claimed deficit is then used to try to justify development of new employment land in the open countryside and in the Green Belt at Thickthorn, the Gateway site and the Southern sites
By protecting existing employment land and by making more reasonable assessments of buffers and flexibility, there is ample employment land available without development in the Green Belt.
Gwrthwynebu
Revised Development Strategy
ID sylw: 55363
Derbyniwyd: 01/08/2013
Ymatebydd: David Ellis
RDS is unsound due to the excessive allocation of employment land and the inclusion of the sub-regional employment site which puts further strain on the provision of housing within the District. This creates problems rather than solutions and makes the Development Strategy unsustainable and undeliverable.
RDS identifies a need for 36ha of employment land for the period 2011-2030. Given 48ha of available employment land already exists there is an excess of employment land. This excess of 12 hectares provides ample contingency. By a combination of land re-allocation and unreasonable 60% contingency WDC's approach turns a substantiated excess of employment land into a claimed deficit of employment land, resulting in a 66 hectares unsubstantiated need for employment..
The misleading claimed deficit is then used to try to justify development of new employment land in the open countryside and in the Green Belt at Thickthorn, the Gateway site and the Southern sites
By protecting existing employment land and by making more reasonable assessments of buffers and flexibility, there is ample employment land available without development in the Green Belt.
Gwrthwynebu
Revised Development Strategy
ID sylw: 55364
Derbyniwyd: 01/08/2013
Ymatebydd: Don Thomas
RDS is unsound due to the excessive allocation of employment land and the inclusion of the sub-regional employment site which puts further strain on the provision of housing within the District. This creates problems rather than solutions and makes the Development Strategy unsustainable and undeliverable.
RDS identifies a need for 36ha of employment land for the period 2011-2030. Given 48ha of available employment land already exists there is an excess of employment land. This excess of 12 hectares provides ample contingency. By a combination of land re-allocation and unreasonable 60% contingency WDC's approach turns a substantiated excess of employment land into a claimed deficit of employment land, resulting in a 66 hectares unsubstantiated need for employment..
The misleading claimed deficit is then used to try to justify development of new employment land in the open countryside and in the Green Belt at Thickthorn, the Gateway site and the Southern sites
By protecting existing employment land and by making more reasonable assessments of buffers and flexibility, there is ample employment land available without development in the Green Belt.