BASE HEADER
TR1 Access and Choice
Gwrthwynebu
Publication Draft
ID sylw: 65225
Derbyniwyd: 24/06/2014
Ymatebydd: Mr Kim Matthews
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Overall these aspirations are fine but they have already been ignored in the plans for Kenilworth station. In my view it is essential that the pedestrian bridge at the station is upgraded to allow cycle access and create a central East-West cycle route across Kenilworth centre
Overall these aspirations are fine but they have already been ignored in the plans for Kenilworth station. In my view it is essential that the pedestrian bridge at the station is upgraded to allow cycle access and create a central East-West cycle route across Kenilworth centre
Gwrthwynebu
Publication Draft
ID sylw: 65265
Derbyniwyd: 25/06/2014
Ymatebydd: Mr Brian Bate
Cydymffurfio â’r gyfraith? Nac Ydi
Cadarn? Nac Ydi
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Transport figures flawed due to no consideration of bridge congestion points.
Castle bridge was designed for horse drawn traffic and only just copes with today's traffic. The bridge is ignored in the assessment. Building up to 12,900 homes south of the bridge would be a disaster, despite road improvement every single vehicle movement entering Warwick would need to pass Castle Bridge.
Vehicle movements to and from Schools are not included, the Myton Road already has severe congestion. Currently air pollution figures are exceeding permitted levels.
The Transport Report used to support the New Local Plan is seriously flawed as it does not take into account that both Warwick and Leamington Spa have a river and a railway running through them. This creates the need to have bridges and are significant congestion points. There is only one road from the south to Warwick, the Banbury Road A425 and it crosses the river Avon at Castle Bridge. Castle Bridge was built of stone in 1793 and is a grade II listed building. It is also the best place for tourists to view and photograph Warwick Castle. The bridge was designed for horse drawn traffic and only just copes with today's traffic albeit with congestion problems. The bridge is ignored in the transport assessment!
Building up to 12.900 homes south of this bridge would be a complete disaster and no matter what improvements were made to the Banbury Road (twin lanes) it still does not overcome the fact that every vehicle entering Warwick from the south has to go over Castle Bridge. There is no alternative route.
There are two roads from the south into Leamington, Europa Way and Tachbrook Road. Both of these at their northern ends have to go under the railway via a bridge. In the case of Europa Way it crosses Myton Road and enters Princes Drive. The railway bridge in Princes Drive has a single carriageway with two lanes north and one lane south. The road then continues over a river bridge in a single carriageway.
It is proposed to make Europa Way a dual carriageway but what is the point when the traffic still has to pass under this bridge? There is no study of this bridge and its serious congestion point.
Tachbrook Road is even worse as at its northern end it has to go under the railway via a single carriageway two lane one way road. This bridge cannot be improved. After going under the bridge traffic then has two directions in which to travel both requiring a river bridge to cross via single carriageway roads.
The figures used in the Transport Assessment used do not include movements to or from Schools. The A425 Myton Road has three schools and there is already severe congestion three times a day. To ignore vehicle movements to and from schools is just ridiculous.
There is already air pollution figures exceeding permitted levels due to the present level of traffic.
Cefnogi
Publication Draft
ID sylw: 65361
Derbyniwyd: 26/06/2014
Ymatebydd: Centro
Centro feels that cross boundary transport services is an important issue that should be greater referenced within the document. Continued support and promotion of these services will help to reduce the use of the private car whilst encouraging sustainable travel options.
The recent High Level Output Specification Programme announcement made by the Department for Transport will enable the electrification of existing rail lines that will improve accessibility and reliability of rail services. Would enable the proposed NUCKLE Phase 2 service to be electrically operated and linked into other local services.
Expected improvement to rail infrastructure should be supported.
Centro would like to see greater reference within the core strategy to the role of buses in making cross boundary journeys into the West Midlands Metropolitan Area. Centro's adopted Integrated Public Transport Prospectus identifies the importance of the 'Journey to Work' area bus services between metropololitan West Midlands and major centres within Warwaick DC. Continued support and promotion of these services will help to reduce the use of the private car whilst encouraging sustainable travel options.
The recent High Level Output Specification Programme announcement made by the Department for Transport will enable the electrification of existing rail lines that will improve accessibility and reliability of rail services.
The routes to be electrified as part of the Electric Spine and other previous agreed projects include the Southampton Port - Basingstoke - Reading - Oxford - Leamington - Coventry.
This will allow operation of electric freight and longer distance passenger trains over this route
It would also enable the proposed NUCKLE Phase 2 service to be electrically operated and linked into other local services on the Birmingham - Coventry corridor increasing through journey opportunities and connectivity to Birmingham, Birmingham Airport, NEC and HS2 Interchange from Leamington and Kenilworth.
It is expected that these improvement will be made during either Control Period 5 (2014-2019) or Control Period 6 (2019-2024) both of which will occur during the Local Plan's lifespan. Centro strongly encourages Warwick DC to integrate the line and service improvements into the evolving Local Plan.
Cefnogi
Publication Draft
ID sylw: 65541
Derbyniwyd: 27/06/2014
Ymatebydd: Keith Wellsted
Good idea - your housing policy flies in the face of this!
Good idea - your housing policy flies in the face of this!
Gwrthwynebu
Publication Draft
ID sylw: 65970
Derbyniwyd: 28/06/2014
Ymatebydd: Sworders
Cydymffurfio â’r gyfraith? Ydi
Cadarn? Nac Ydi
Dyletswydd i gydweithredu? Ydi
In particular, TR1 Access and Choice, is negatively worded. Paragraph 32 of the NPPF states that "development should only be refused on transport grounds where the residual cumulative impacts of development are severe". In direct conflict, this policy specifies that development will only be permitted if it satisfies a list of requirements.
I am responding to the current Draft Plan consultation on behalf of clients in whose interest it is for the plan to be found sound. I therefore do not wish to raise any formal objection to the Plan. However, I do have a number of concerns with the development management policies which I thought it might be helpful to point out at this stage, to enable you to address the issues prior to submission, if you consider it appropriate.
In essence, we consider many of the development management policies to be non-NPPF compliant and consequently at risk of being found unsound. This is on the basis that they are predominantly negatively worded; they set out a restrictive set of circumstances where development will be permitted, thereby implying that development will not be permitted in any other circumstances. This appears to be contrary to the NPPF presumption in favour of sustainable development which requires plans to "positively seek opportunities to meet the development needs of their area" and a positive approach to policy making which should permit development unless "any adverse effects of doing so would significantly and demonstrably outweigh the benefits."
The Colman High Court decision (Colman v SSCLG [2013] EWHC 1138 (Admin.)), has determined that any restrictive development management policy (except in the Green Belt) is likely to conflict with the NPPF "cost benefit approach".
I have picked out a few specific policies below which I am particularly concerned about:
EC1 Directing New Employment Development
This policy is not in accordance with the NPPF and is in conflict with the previous Draft Local Plan policy, PC0 Prosperous Communities.
Policy PC0 promotes sustainable economic development to support a vibrant and thriving economy to deliver the jobs the District needs which is in accordance with the NPPF. However, policy EC1 which sets out how this economic development will be delivered is overly restrictive and not positively worded. For example, this lists only certain circumstances where new employment development will be permitted in both urban and rural areas. This is in conflict with the NPPF presumption in favour of sustainable development at paragraph 14 and Chapter 1, Building a strong, competitive economy, Chapter 2, Ensuring the vitality of town centres and Chapter 3, Supporting a prosperous rural economy. Being inconsistent with national policy, this policy is unsound virtue of NPPF paragraph 182.
Specifically in relation to rural areas, this policy places additional burdens on applicants, such as the requirement to demonstrate that traffic movements will not be significantly increased and impact on the landscape. The supporting text states that "It is important that this Plan allows appropriate rural enterprise to grow and expand whilst protecting the countryside from development and uses which should be directed to urban areas." Whereas the NPPF supports growth and expansion of "all types of business and enterprise in rural areas" (paragraph 28).
It is also poorly drafted and unclear as it refers to criteria A-C but lists criteria 1-3.
EC2 Farm Diversification
This policy is not in accordance with the NPPF and in conflict with the previous policy, PC0 Prosperous Communities, in the draft Local Plan.
NPPF paragraph 28 supports both conversion of existing buildings and well-designed new buildings and promotes "the development and diversification of agriculture and other land-based rural businesses". Conversely, policy EC2 introduces additional burdens which will restrict development, for example that existing buildings are used in preference to new buildings. Being inconsistent with national policy, this policy is unsound virtue of NPPF paragraph 182.
TC1-18; these policies all add additional burdens and requirements which are not contained in the NPPF. These are in conflict with the NPPF presumption in favour of sustainable development at paragraph 14 and Chapter 1, Building a strong, competitive economy and Chapter 2, Ensuring the vitality of town centres.
CT1-CT7; these policies all add additional burdens and requirements which are not contained in the NPPF. These are in conflict with the NPPF presumption in favour of sustainable development at paragraph 14 and Chapter 1, Building a strong, competitive economy, Chapter 2, Ensuring the vitality of town centres and Chapter 3, Supporting a prosperous rural economy.
BE4 Converting Rural Buildings.
This policy is not in accordance with the NPPF which supports development which would "re-use redundant or disused buildings and lead to an enhancement to the immediate setting". This policy places a raft of additional burdens on applicants which appear to have been lifted from the cancelled PPS7 and would restrict development.
TR1-5; these policies all add additional burdens and requirements which are not contained in the NPPF. These are in conflict with the NPPF presumption in favour of sustainable development at paragraph 14 and Chapter 1, Building a strong, competitive economy and Chapter 4 promoting sustainable transport.
In particular, TR1 Access and Choice, is negatively worded. Paragraph 32 of the NPPF states that "development should only be refused on transport grounds where the residual cumulative impacts of development are severe". In direct conflict, this policy specifies that development will only be permitted if it satisfies a list of requirements.
NE4 Landscape
This policy proposes that development will only be permitted where it positively contributes to landscape character; the NPPF contains no such requirement. The NPPF is clear that great weight should be placed on conserving landscape and scenic beauty is designated areas (such as National Parks and areas of Outstanding Natural Beauty) and that development should be located in areas of lesser environmental value. Blanket protection on all landscape via the Local Plan would frustrate the delivery of sustainable development to meet the District's needs.
Gwrthwynebu
Publication Draft
ID sylw: 66019
Derbyniwyd: 27/06/2014
Ymatebydd: University of Warwick
Asiant : Turley
Cydymffurfio â’r gyfraith? Ydi
Cadarn? Nac Ydi
Dyletswydd i gydweithredu? Ydi
We are concerned by the requirement in the supporting text for a recharging point for plug-in and other ultra-low emission vehicles to be provided for each off street parking space. This is excessive and uneconomic on the basis of current practice, and ignores the possible and likely developments in technology in coming years.
The University currently has 30 charging points across its campus and its transport consultant Arup considers it almost impossible to estimate how many plug-in vehicles will be in use in years to come as estimates have been widely inaccurate to date. They consider that the growth area will be around hybrids rather than full electric vehicles. The means of charging and storing energy in vehicles will also be subject to change, as technology advances.
The supporting text requirement of 1:1 provision is considered unrealistic and unreasonable.
See attachment
Gwrthwynebu
Publication Draft
ID sylw: 66071
Derbyniwyd: 27/06/2014
Ymatebydd: Historic England
Cydymffurfio â’r gyfraith? Ydi
Cadarn? Nac Ydi
Dyletswydd i gydweithredu? Ydi
Mindful of the commitment in paragraph 5.29 and 5.41 it is of concern there is no criteria in this policy to ensure transport infrastructure responds positively to the historic environment.
It is not clear whether such guidance has been applied to inform an understanding of the implications for the historic environment arising from major development to the south of Warwick.
See attachment.
Cefnogi
Publication Draft
ID sylw: 66296
Derbyniwyd: 26/06/2014
Ymatebydd: Mr H E Johnson
Asiant : Bond Dickinson
We support these transport policies, provided that they are flexibly used in the determination of planning applications.
see attached
Gwrthwynebu
Publication Draft
ID sylw: 66649
Derbyniwyd: 26/06/2014
Ymatebydd: Place Partnership Limited (PPL)
Cydymffurfio â’r gyfraith? Ydi
Cadarn? Nac Ydi
Dyletswydd i gydweithredu? Ydi
We do not consider TR1 to be effective in soundness terms, as it does not reference the fact that new developments should allow swift and easy access for emergency services vehicles to attend incidents and individuals quickly, helping to prevent crime and in some cases, save lives. The importance of TR1 requiring this therefore cannot be overemphasised.
see attached
Cefnogi
Publication Draft
ID sylw: 66663
Derbyniwyd: 18/06/2014
Ymatebydd: Royal Leamington Spa Town Council
The Council is very supportive of the policy that places the provision of improvements to the highway infrastructure and public transport at the forefront of future development in the District.
The Council strongly urges that this is provided for within future large scale developments and is also implemented before completion and occupancy where this will lead to an increase in the volume of vehicular and pedestrian movement.
See attached
Gwrthwynebu
Publication Draft
ID sylw: 66671
Derbyniwyd: 27/06/2014
Ymatebydd: Warwickshire County Council [Archaeological Information and Advice]
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Cadarn? Nac Ydi
Dyletswydd i gydweithredu? Ydi
The Health Impact Assessment undertaken by Public Health Warwickshire considers the Plan to be positive for contributing towards improving and protecting the health and wellbeing of people in the District. In particular it is suggested that the Plan does as much as possible to improve active travel opportunities to reduce reliance on vehicular transport and bring forward related health benefits to the wider community as a consequence.
See attached Representations.