BASE HEADER
5 Overarching strategy
Cefnogi
Net Zero Carbon Development Plan
ID sylw: 72084
Derbyniwyd: 20/08/2021
Ymatebydd: Mrs Sarah Stone
Aiming for net zero carbon is one of the most important things we can do as an area and as a country. We need to stop allowing short term (financial) gains to be the major voice in new house building especially.
Aiming for net zero carbon is one of the most important things we can do as an area and as a country. We need to stop allowing short term (financial) gains to be the major voice in new house building especially.
Cefnogi
Net Zero Carbon Development Plan
ID sylw: 72101
Derbyniwyd: 07/09/2021
Ymatebydd: Ms Pamela Lunn
But of course! No wriggle-room, no get-outs.
But of course! No wriggle-room, no get-outs.
Gwrthwynebu
Net Zero Carbon Development Plan
ID sylw: 72109
Derbyniwyd: 10/09/2021
Ymatebydd: Castle Farm Neighbours
Does not address the key issue of transport to/from properties to the wider community. Robust and viable sustinable transport of people and the delivery of goods/services must be incorporated into the "net-zero" targets. It is completely unacceptable for buildings to be gratuitously built and a few trees planted to "offset" carbon emissions; this is a recipe for corrutpion.
Does not address the key issue of transport to/from properties to the wider community. Robust and viable sustinable transport of people and the delivery of goods/services must be incorporated into the "net-zero" targets. It is completely unacceptable for buildings to be gratuitously built and a few trees planted to "offset" carbon emissions; this is a recipe for corrutpion.
Cefnogi
Net Zero Carbon Development Plan
ID sylw: 72110
Derbyniwyd: 31/08/2021
Ymatebydd: Mr Andrew Pike
Overall, I support the proposals in the consultation document, bearing in mind that, as I understand it, Leamington Spa is an area of high C02 emissions. There appear to be some potential ‘exemptions' in the consultation document which allow the continuation of fossil fuel uses for developers where alternatives are not considered ‘viable’. I think the Council should be rigorous in allowing any such exemptions; otherwise, developers will continue to use the cheapest energy installations, irrespective of the emissions.
It is pity that these sorts of considerations were apparently not taken into consideration in the housing developments along and south of Europa Way. So far as I can tell from my research, that housing does not meet any future sustainable environmental standards, and, of course, the developments have sadly led to the destruction of many mature trees along Europa Way and surrounding roads.
The Net Zero Development Plan relates specifically to buildings, but it should be coordinated with plans for the reduction of emissions from transport/cars etc.
Please see attached.
Cefnogi
Net Zero Carbon Development Plan
ID sylw: 72112
Derbyniwyd: 07/09/2021
Ymatebydd: Royal Leamington Spa Town Council
Asiant : Royal Leamington Spa Town Council
Please see attached.
Please see attached.
Cefnogi
Net Zero Carbon Development Plan
ID sylw: 72123
Derbyniwyd: 08/09/2021
Ymatebydd: Mr Rodney King
We strongly support this proposed document, just a few refinements.
Ensure statements are definite, such as using the word "must"
sustainable active travel should be a core feature with any development. Consider the use of home zones where appropriate, to favour the walking and cycling modes.
Biodiversity - a crucial part of sustainable development, a good reference document: www.rhs.org.uk/science/conservation-biodiversity/plants-for-bugs
We strongly support this proposed document, just a few refinements.
Ensure statements are definite, such as using the word "must"
sustainable active travel should be a core feature with any development. Consider the use of home zones where appropriate, to favour the walking and cycling modes.
Biodiversity - a crucial part of sustainable development, a good reference document: www.rhs.org.uk/science/conservation-biodiversity/plants-for-bugs
Cefnogi
Net Zero Carbon Development Plan
ID sylw: 72128
Derbyniwyd: 10/09/2021
Ymatebydd: Kathryn Kennedy
1. Instead of “asking” developers to take energy reducing steps when building housing, there should be an obligation to do so. Developers “must” do what Warwick DC sets out, with no opt out option for developers. The language and expectations need to change and become more stringent. Warwick DC has committed to deliver energy reductions in its Climate Emergency declaration.
2. Alongside energy reduction measures, there should be consideration of energy-reducing, sustainable public travel: prioritising public transport, pedestrian and cycling areas over the use of petrol or diesel fuelled cars. Charging points for electric vehicles should be provided widely.
3. Net zero carbon targets should be defined as energy performance “in use”.
Please see attached.
Cefnogi
Net Zero Carbon Development Plan
ID sylw: 72137
Derbyniwyd: 13/09/2021
Ymatebydd: Mrs Sidney Syson
If development doe snot comply with the whole plan , the whole plan will unravel.
If development doe snot comply with the whole plan , the whole plan will unravel.
Cefnogi
Net Zero Carbon Development Plan
ID sylw: 72155
Derbyniwyd: 11/09/2021
Ymatebydd: Jo Harper
I would like to support your plan for new builds to have zero carbon emissions, and even to strengthen your plan by demanding that developers embed sustainability into their new builds in terms are f renewable energy, trees and wild flowers to support biodiversity.
We really are at a critical juncture and we must ensure that we do everything to reduce the misery and hardships caused by climate change and biodiversity crash for our children and future generations.
Please do whatever you can to make the future better.
I would like to support your plan for new builds to have zero carbon emissions, and even to strengthen your plan by demanding that developers embed sustainability into their new builds in terms are f renewable energy, trees and wild flowers to support biodiversity.
We really are at a critical juncture and we must ensure that we do everything to reduce the misery and hardships caused by climate change and biodiversity crash for our children and future generations.
Please do whatever you can to make the future better.
Gwrthwynebu
Net Zero Carbon Development Plan
ID sylw: 72159
Derbyniwyd: 13/09/2021
Ymatebydd: Home Builders Federation Ltd
The Council has not provided any evidence specifying the local circumstances in Warwick to justify Draft Policies NZC1 – NZC2(A-D), which require standards above and ahead of 2025 implementation for Future Homes Standard. As set out in the 2021 NPPF, all policies should be underpinned by relevant and up to date evidence which should be adequate, proportionate and focus focussed tightly on supporting and justifying the policies concerned (para 31). It is the HBF’s opinion that the Council should comply with the Government’s intention of achieving net zero carbon development through the Building Regulations, the Council’s proposed policy approach is unnecessary because of the higher levels of energy efficiency standards for new homes proposed in the 2021 Part L uplift and the Future Homes Standard 2025.
Please see attached.
Gwrthwynebu
Net Zero Carbon Development Plan
ID sylw: 72160
Derbyniwyd: 13/09/2021
Ymatebydd: Gladman Developments
Asiant : Gladman Developments
Please see attached.
Please see attached.
Gwrthwynebu
Net Zero Carbon Development Plan
ID sylw: 72161
Derbyniwyd: 13/09/2021
Ymatebydd: Warwick Castle
Asiant : Nathaniel Lichfield & Partners
Please see attached.
Please see attached.
Cefnogi
Net Zero Carbon Development Plan
ID sylw: 72162
Derbyniwyd: 13/09/2021
Ymatebydd: Good Homes Alliance
Asiant : Good Homes Alliance
We welcome your DPD and it has much to be commended, we do however wish to comment on some aspects that we think are embodied in our comments below:
• SAP does not demonstrate energy efficiency in operation
• The Future Homes Standard does not set out performance metrics for performance in use
• Nationally recognised standards for performance in use are mainly associated with the Passivhaus system, NEF’s Assured Performance Process.
• The most up to date SAP does not deal with the ‘performance gap’.
• The term Net Zero Carbon should be defined as either “in use” or “whole life net zero” to include in use and the whole carbon in materials cycle
Please see attached.