BASE HEADER
Introduction
Gwrthwynebu
Affordable Housing SPD
ID sylw: 71601
Derbyniwyd: 17/02/2020
Ymatebydd: Deeley Group Ltd c/o Delta Planning
Asiant : Delta Planning
The document relies upon the most recent definition of affordable housing taken from the July 2018 NPPF. However, the soon to be released Government White Paper is to introduce the concept of ‘First Homes’, which is due to replace ‘starter homes’, currently discussed within the NPPF’s definition of affordable housing. If this SPD is to have any sense of longevity, we suggest that it should include ‘First Homes’ as an accepted form of affordable housing.
Cefnogi
Affordable Housing SPD
ID sylw: 71621
Derbyniwyd: 14/01/2020
Ymatebydd: Highways England
No comment
Cefnogi
Affordable Housing SPD
ID sylw: 71622
Derbyniwyd: 17/01/2020
Ymatebydd: Warwick Town Council
Warwick Town Council support the proposed document
Cefnogi
Affordable Housing SPD
ID sylw: 71623
Derbyniwyd: 16/12/2019
Ymatebydd: High Speed Two (HS2) Ltd
No comment
Cefnogi
Affordable Housing SPD
ID sylw: 71624
Derbyniwyd: 17/02/2020
Ymatebydd: Historic England
Historic England has no comments to make on the draft Affordable Housing SPD
Cefnogi
Affordable Housing SPD
ID sylw: 71625
Derbyniwyd: 17/02/2020
Ymatebydd: Natural England
No comments
Cefnogi
Affordable Housing SPD
ID sylw: 71683
Derbyniwyd: 18/02/2020
Ymatebydd: Canal and River Trust
The Trust has no comments to make on the Affordable Housing SPD draft
Gwrthwynebu
Affordable Housing SPD
ID sylw: 71687
Derbyniwyd: 21/02/2020
Ymatebydd: Barton Willmore
It is considered that the draft SPD should be expanded to refer to the above-mentioned relevant sections of the NPPF and PPG in terms of the purposes and scope of an SPD. It is noted that the draft Developer Contributions SPD (also the subject of public consultation) references paragraphs 34, 56 and 57 of the NPPF which make clear that development should not be subject to such a scale of obligations and policy burdens that the viability of the scheme is threatened. It is considered a similar reference should be made in this Affordable Housing draft SPD.
Gwrthwynebu
Affordable Housing SPD
ID sylw: 71697
Derbyniwyd: 21/02/2020
Ymatebydd: Taylor Wimpey UK Limited
Asiant : Mr Andrew Lowe
Taylor Wimpey believes that there is considerable scope to refine the draft SPD in order to ensure that the Council's aspirations are met, without stifling development or compromising viability. These are set out in our attached representations and subsequent responses.
Cefnogi
Affordable Housing SPD
ID sylw: 71716
Derbyniwyd: 21/02/2020
Ymatebydd: Pegasus Group
Northern Trust welcome the confirmation that the definition of affordable housing applied is as per that set out in the NPPF at Annex 2.