BASE HEADER
Policy Background
Gwrthwynebu
Affordable Housing SPD
ID sylw: 71592
Derbyniwyd: 17/02/2020
Ymatebydd: AC Lloyd Homes 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.
Gwrthwynebu
Affordable Housing SPD
ID sylw: 71600
Derbyniwyd: 17/02/2020
Ymatebydd: AC Lloyd Homes c/o Delta Planning
Asiant : Delta Planning
Self build housing can also be an form of affordable housing. This should be mentioned within this SPD.
Gwrthwynebu
Affordable Housing SPD
ID sylw: 71609
Derbyniwyd: 17/02/2020
Ymatebydd: Deeley Group Ltd c/o Delta Planning
Asiant : Delta Planning
Self build housing can also be a form of affordable housing. This should be mentioned within this SPD.
Gwrthwynebu
Affordable Housing SPD
ID sylw: 71626
Derbyniwyd: 13/02/2020
Ymatebydd: Barton Willmore (now Stantec)
The draft should be expanded to refer to the relevant sections of the NPPF and PPG in terms of the purposes and scope of an SPD.
The draft SPD states that affordable housing policies are not defined as strategic policies within the Warwick District Local Plan. Therefore, neighbourhood plans could seek to require a different amount of affordable housing provision within their neighbourhood area, provided there is local justification. Where a ‘made’ neighbourhood plan does include different affordable housing policies to those in the local plan, these
will take precedence where they differ from the Local Plan.
Policy H2 Affordable Housing of the WDC Local Plan does not reference the ability for Neighbourhood Plans to vary the overall 40% District requirement. Reference is made to the sizes, types and tenures of homes being determined “by other local needs surveys and information” but not the overall scale of provision. However, should this element of the SPD be taken forward the text should be updated to reflect that the Local Plan policy requirement is based upon the Strategic Housing Market Assessment evidence and has been the subject of a viability assessment (in line with national policy and guidance). The draft SPD should stipulate that neighbourhood plan policies are not expected to seek in excess of the Local Plan policy requirement accordingly; any that do must be the subject of a neighbourhood plan viability assessment.
Gwrthwynebu
Affordable Housing SPD
ID sylw: 71688
Derbyniwyd: 21/02/2020
Ymatebydd: Barton Willmore
The draft SPD states that affordable housing policies are not defined as strategic policies within the Warwick District Local Plan (Sept 2017).
It is noted that the Adopted Policy H2 Affordable Housing of the WDC Local Plan does not appear to reference the ability for Neighbourhood Plans to vary the overall 40% District requirement.
However, should this element of the SPD be taken forward the text should be amended to reflect that the Local Plan policy requirement is based upon the Strategic Housing Market Assessment evidence and has been the subject of a viability assessment (in line with national policy and guidance). The draft SPD should stipulate that neighbourhood plan policies are not expected to seek in excess of the Local Plan policy requirement accordingly; any that do must be the subject of a neighbourhood plan viability assessment.