BASE HEADER
Preferred Options
Chwilio sylwadau
Canlyniadau chwilio The Sundial Group and Gleeson Developments
Chwilio o’r newyddGwrthwynebu
Preferred Options
On the Edge of Kenilworth
ID sylw: 49178
Derbyniwyd: 26/07/2012
Ymatebydd: The Sundial Group and Gleeson Developments
Nifer y bobl: 2
Asiant : Savills (L&P) Ltd
As a minimum SHLAA sites sites K17 and AS1b should be taken out of the Green Belt and safeguarded in line with the NPPF.
However these sites have potential for earlier development throigh a comprehensive approach in conjunction with Thickthorn
See attached
Cefnogi
Preferred Options
15
ID sylw: 49180
Derbyniwyd: 26/07/2012
Ymatebydd: The Sundial Group and Gleeson Developments
Nifer y bobl: 2
Asiant : Savills (L&P) Ltd
Support Paragraph 4.12 - point 15. This objective is in line with advice produced by the Government and Sport England to improve the general health of communities through improvements to sport and recreation facilities and protecting playing fields.
See attached
Gwrthwynebu
Preferred Options
PO1: Preferred Level of Growth
ID sylw: 49181
Derbyniwyd: 26/07/2012
Ymatebydd: The Sundial Group and Gleeson Developments
Nifer y bobl: 2
Asiant : Savills (L&P) Ltd
NPPF requires LPAs to boost significantly the supply of housing.The 10,800 dwellings figure set out at PO1 does not meet the need for housing. The SHMA suggests 14,300 are required between 2011 and 2031. It also does provide for affordable housing.
To make the Local Plan sound it must be in conformity with the NPPF. PO1 does not meet the full, objectively assessed needs for market or affordable housing in the District and is therefore, unsound.
The Plan period should be 20 years "to take account of longer term requirements" (NPPF)
See attached
Cefnogi
Preferred Options
PO3: Broad Location of Growth
ID sylw: 49182
Derbyniwyd: 26/07/2012
Ymatebydd: The Sundial Group and Gleeson Developments
Nifer y bobl: 2
Asiant : Savills (L&P) Ltd
Gleeson and Sundial support the Council's Preferred Option as set out in draft Policy PO3 which includes the distribution of housing growth across the District, including concentrating growth within, and on the edge of, the existing urban areas.
The approach is sound and entirely in conformity with the NPPF in setting out a sustainable approach to development.
See attached
Gwrthwynebu
Preferred Options
TABLE 7.2 Distribution of Housing
ID sylw: 49183
Derbyniwyd: 26/07/2012
Ymatebydd: The Sundial Group and Gleeson Developments
Nifer y bobl: 2
Asiant : Savills (L&P) Ltd
The distribution of housing set out at table 7.2 does not accord with the objectively assessed need. The Plan does not set out a spatial strategy which accords with the locational demand for housing in the district. This is proportionally disadvantages Kenilworth.
The approach results in only 42 dwellings per year at Kenilworth, significantly under the identified need of 111. This is unsound.
See attached
Gwrthwynebu
Preferred Options
Thickthorn
ID sylw: 49184
Derbyniwyd: 26/07/2012
Ymatebydd: The Sundial Group and Gleeson Developments
Nifer y bobl: 2
Asiant : Savills (L&P) Ltd
For the reasons set out under our objection to Table 7.2 (above) we object to the number of 770 dwellings to Kenilworth. For this reason alone, the site area should be increased to include land at Southcrest Farm and Woodside Training Centre.
Thickthorn is constrained by noise from the A46, ancient woodland, playing fields, proximity to existing housing and local wildlife sites. If in frastructure requirements (primary school, employment etc) are added in along with densities proposed in Garden Towns, Thickthorn will be unable to accommodate 770 dwellings.
Thickthorn will result in loss of playing fields which canot be justified by evidence. The playing feilds should be retained and should not be moved as they are conveneiently located and provide a facility to support growth to the east of Kenilworth.
the sustainability approasal has not bee accurately undertaken and should refelect that Southcreast Farm has fewer constraints than Thickthorn.
Multiple onwerships at Thickthorn causes uncertainty as to the deliverability of te site.
See attached
Gwrthwynebu
Preferred Options
A. General Market Housing
ID sylw: 49185
Derbyniwyd: 26/07/2012
Ymatebydd: The Sundial Group and Gleeson Developments
Nifer y bobl: 2
Asiant : Savills (L&P) Ltd
the wording is too rigid in that it requires house sizes and type meet the need identified in the SHMA. The wording should be amended to be in "general conformity with" the SHMA.
See attached
Gwrthwynebu
Preferred Options
C. Homes for Older People
ID sylw: 49186
Derbyniwyd: 26/07/2012
Ymatebydd: The Sundial Group and Gleeson Developments
Nifer y bobl: 2
Asiant : Savills (L&P) Ltd
The need to provide more housing for the growing elderly population in the District is acknowledged. However, the policy is too prescriptive in requiring Extra Care Housing only. There are other ways to provide homes to meet the needs of the elderly population and this should be allowed for in the policy.
See attached
Cefnogi
Preferred Options
PO6: Mixed Communities & Wide Choice of Housing
ID sylw: 49187
Derbyniwyd: 26/07/2012
Ymatebydd: The Sundial Group and Gleeson Developments
Nifer y bobl: 2
Asiant : Savills (L&P) Ltd
Support the principle of mixed communities and a wide choice of housing.
See attached
Cefnogi
Preferred Options
PO8: Economy
ID sylw: 49188
Derbyniwyd: 26/07/2012
Ymatebydd: The Sundial Group and Gleeson Developments
Nifer y bobl: 2
Asiant : Savills (L&P) Ltd
Support the principle of allocating part of the land at Kenilworth for employment uses. The land closest to the A46 junction is the most suitable location for such development, to benefit from the locational advantage and reduce traffic flows through the town.
However, further B1 Employment Land could be provided at Woodside Training Centre
See attached