BASE HEADER

Do you agree with the approach laid out in Draft Policy Direction-30- Health Impact Assessment for Major Development?

Yn dangos sylwadau a ffurflenni 91 i 95 o 95

Other

Preferred Options 2025

ID sylw: 107971

Derbyniwyd: 07/03/2025

Ymatebydd: Rainier Developments Ltd

Asiant : Pegasus Group

Crynodeb o'r Gynrychiolaeth:

There is clear support within the NPPF (Section 8) for the creation of healthy and safe communities, and Paragraph 005 of the Healthy and Safe Communities section of the PPG highlights that health impact assessments can be a useful tool where there are expected to be significant impacts on health. The policy direction states that where there will be a significant impact on health and wellbeing, and this cannot be mitigated, applicants will need to compensate for such impacts, through financial contributions.

Viability should be taken into consideration; it is imperative for such a policy to not risk undermining the deliverability of much-needed housing sites, in instances where it may be challenging to provide adequate mitigation. This should have been acknowledged within the SA, in relation to potential impacts on SA Objective 9 (Housing).

Other

Preferred Options 2025

ID sylw: 108085

Derbyniwyd: 07/03/2025

Ymatebydd: Seven Homes

Asiant : Pegasus Group

Crynodeb o'r Gynrychiolaeth:

There is clear support within the NPPF (Section 8) for the creation of healthy and safe communities, and Paragraph 005 of the Healthy and Safe Communities section of the PPG highlights that health impact assessments can be a useful tool where there are expected to be significant impacts on health. The policy direction states that where there will be a significant impact on health and wellbeing, and this cannot be mitigated, applicants will need to compensate for such impacts, through financial contributions.

Viability should be taken into consideration; it is imperative for such a policy to not risk undermining the deliverability of much-needed housing sites, in instances where it may be challenging to provide adequate mitigation. This should have been acknowledged within the SA, in relation to potential impacts on SA Objective 9 (Housing).

Yes

Preferred Options 2025

ID sylw: 108228

Derbyniwyd: 07/03/2025

Ymatebydd: Persimmon Homes (South Midlands)

Asiant : Pegasus Group

Crynodeb o'r Gynrychiolaeth:

There is clear support within the NPPF (Section 8) for the creation of healthy and safe communities, and Paragraph 005 of the Healthy and Safe Communities section of the PPG highlights that health impact assessments can be a useful tool where there are expected to be significant impacts on health. The policy direction states that where there will be a significant impact on health and wellbeing, and this cannot be mitigated, applicants will need to compensate for such impacts, through financial contributions.

Viability should be taken into consideration; it is imperative for such a policy to not risk undermining the deliverability of much-needed housing sites, in instances where it may be challenging to provide adequate mitigation. This should have been acknowledged within the SA, in relation to potential impacts on SA Objective 9 (Housing).

Other

Preferred Options 2025

ID sylw: 108587

Derbyniwyd: 07/03/2025

Ymatebydd: Corbally Group (Harbury) Ltd

Asiant : Pegasus Group

Crynodeb o'r Gynrychiolaeth:

There is clear support within the NPPF (Section 8) for the creation of healthy and safe communities, and Paragraph 005 of the Healthy and Safe Communities section of the PPG highlights that health impact assessments can be a useful tool where there are expected to be significant impacts on health. The policy direction states that where there will be a significant impact on health and wellbeing, and this cannot be mitigated, applicants will need to compensate for such impacts, through financial contributions.

Viability should be taken into consideration; it is imperative for such a policy to not risk undermining the deliverability of much-needed housing sites, in instances where it may be challenging to provide adequate mitigation. This should have been acknowledged within the SA, in relation to potential impacts on SA Objective 9 (Housing).

Other

Preferred Options 2025

ID sylw: 108634

Derbyniwyd: 07/03/2025

Ymatebydd: Kiely Bros Holdings Ltd

Asiant : Pegasus Group

Crynodeb o'r Gynrychiolaeth:

Policy Direction 30 – Health Impact Assessment for Major Development
8.2.
There is clear support within the NPPF (Section 8) for the creation of healthy and safe communities, and Paragraph 005 of the Healthy and Safe Communities section of the PPG highlights that health impact assessments can be a useful tool where there are expected to be significant impacts on health. The policy direction states that where there will be a significant impact on health and wellbeing, and this cannot be mitigated, applicants will need to compensate for such impacts, through financial contributions.
8.3.
Viability should be taken into consideration; it is imperative for such a policy to not risk undermining the deliverability of much-needed housing sites, in instances where it may be challenging to provide adequate mitigation. This should have been acknowledged within the SA, in relation to potential impacts on SA Objective 9 (Housing).