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Preferred Options 2025
Chwilio sylwadau
Canlyniadau chwilio Grevayne Properties Limited
Chwilio o’r newyddOther
Preferred Options 2025
Do you agree with the approach laid out in Draft Policy Direction-31- Sustainable Transport Accessibility?
ID sylw: 102142
Derbyniwyd: 07/03/2025
Ymatebydd: Grevayne Properties Limited
Asiant : The Tyler Parkes Partnership Ltd
It is agreed that development should aim to be accessible by sustainable transport, but in a District containing a large number of rural settlements, this is not always possible. Flexibility should be introduced to require sustainable transport accessibility wherever possible.
Our client considers that it is no longer appropriate to rely solely upon surveys of the physical infrastructure, such as access to transport. Alongside, it is appropriate to also consider the social, economic and environmental benefits for sustainable development of the burgeoning trends in rolling out carbon efficient technologies into rural areas and trends in home working and behavioural patterns.
Other
Preferred Options 2025
Do you broadly support the proposals in the Introduction? If you have any additional points to raise with regards to this chapter please include them here.
ID sylw: 102179
Derbyniwyd: 07/03/2025
Ymatebydd: Grevayne Properties Limited
Asiant : The Tyler Parkes Partnership Ltd
We continue to promote the site at land at Springfield Farm, Harbury, (site ref: 491). The allocation of Site ref: 491 for residential development is supported.
There are too many options set out in the consultation. A number of the 12 proposed new settlements contain no opportunities identified through the Call for Sites. It is incumbent on the Councils to allocate sites that are already being promoted and available, such as our client's site at Springfield Farm, Harbury (ref: 491) to help accommodate the Districts’ housing needs.
Other
Preferred Options 2025
Do you broadly support the proposals in the Vision and Strategic Objectives: South Warwickshire 2050 chapter? If you have any additional points to raise with regards to this chapter please include them here.
ID sylw: 102212
Derbyniwyd: 07/03/2025
Ymatebydd: Grevayne Properties Limited
Asiant : The Tyler Parkes Partnership Ltd
The plan states that "Five overarching principles will determine how this development is delivered. These could apply anywhere and imply there is nothing distinctly ‘South Warwickshire’ about them. South Warwickshire is characterised by tight urban areas and numerous rural settlements and the policies of the development plan should better reflect that character.
The potential for housing delivery on our clients’ land at Harbury (site ref: 491) would contribute to Government’s objectives to accelerate housebuilding over the next 5 years. The location of the land immediately adjacent the current BUAB for Harbury would also ensure development in a sustainable location.
Other
Preferred Options 2025
Do you have any comments on a specific site proposal or the HELAA results?
ID sylw: 102258
Derbyniwyd: 07/03/2025
Ymatebydd: Grevayne Properties Limited
Asiant : The Tyler Parkes Partnership Ltd
We continue to promote the site at Springfield Farm, Harbury (site ref: 491). The HELAA assessment of Sites Ref: 491 demonstrates that there are no significant constraints to the development of the land. Site Ref 491 has been attributed a favourable, lower mid-range, HELAA Part B score.
The site is a logical and sustainable location for residential development and provides opportunities for self-build and/or market housing. In accordance with the NPPF, it is suggested that the land at Springfield Farm (site ref: 491) is entirely appropriate for allocation for residential development within the SWLP.
Other
Preferred Options 2025
Do you agree with the approach laid out in Draft Policy Direction 3- Small Scale Development, Settlement Boundaries and Infill Development?
ID sylw: 102284
Derbyniwyd: 07/03/2025
Ymatebydd: Grevayne Properties Limited
Asiant : The Tyler Parkes Partnership Ltd
The plan should recognise the potential for smaller scale developments to fulfil a significant role in meeting future growth needs. Existing settlement boundaries should be reviewed including Harbury, specifically to enable development of the land at Springfield Farm (Site ref: 491). The review of settlement boundaries and allocation of sites for development should take place now and not be deferred until a Part 2 local plan. Without this the new local plan will lack certainty and fail to contribute sufficiently to the acceleration of housebuilding in accordance with Government policy.
Other
Preferred Options 2025
Do you agree with the approach laid out in Draft Policy- B- Providing Custom and Self Building Housing Plots?
ID sylw: 102307
Derbyniwyd: 07/03/2025
Ymatebydd: Grevayne Properties Limited
Asiant : The Tyler Parkes Partnership Ltd
The policy states that 5% of the developable area of a site is to be made available for the provision of self-build and custom-build homes. This provision should be discretionary not a requirement since most self-builders are unlikely to want a site being built by a volume housebuilder.
Notwithstanding the above, site ref: 491 at Springfield Farm, Harbury, could be an ideal site, even if just in part, for Custom and Self Building Housing. The allocation of land at Springfield Farm would ensure that the Council is making adequate provision for Custom and Self Building Housing, as required.