Yes
Preferred Options 2025
Representation ID: 97066
Received: 05/03/2025
Respondent: Alcester Town Council
This approach is agreed by Alcester Town Council, Arrow with Weethley Parish Council, Kinwarton Parish Council, Wixford Parish Council and Great Alne Parish Council (together referred to as Alcester Parishes Group or ‘APG’).
Yes
Preferred Options 2025
Representation ID: 97090
Received: 05/03/2025
Respondent: John Dinnie
Yes
Yes
Preferred Options 2025
Representation ID: 97203
Received: 26/02/2025
Respondent: Tysoe Parish Council
Yes
No
Preferred Options 2025
Representation ID: 97278
Received: 05/03/2025
Respondent: Squab Hall Farm
Agent: Mr Jack Barnes
The policy should align with NPPF Paragraph 119, which requires planning policies to support the expansion of electronic communications networks, including next generation mobile technology (such as 5G) and full fibre broadband connections. It also emphasises the importance of access to high-quality digital infrastructure, and how it is expected to be delivered and upgraded over time.
Furthermore, the Local Plan should ensure that any additional requirements do not introduce unnecessary duplication or impose obligations beyond national planning policy and legal frameworks, which could hinder the viability of sustainable development.
Other
Preferred Options 2025
Representation ID: 97406
Received: 05/03/2025
Respondent: Godwin Developments
Godwin Developments acknowledge that access to digital services such as the internet is critical to South Warwickshire’s economic, environmental and social development. Furthermore, it is accepted that residential developments should incorporate appropriate infrastructure, both wired and wireless, to provide high speed internet access.
It is prudent to note that service providers also have a responsibility to implement infrastructure, particularly in rural areas, which would give residents access to reliable internet access. This in turn would provide residents with a gateway to remote working without having concerns about the reliability of their online service.
Yes
Preferred Options 2025
Representation ID: 97776
Received: 05/03/2025
Respondent: Mr Gary Jeffery
N/A
No
Preferred Options 2025
Representation ID: 98128
Received: 06/03/2025
Respondent: William Davis Limited
Agent: Marrons
The policy should align with NPPF Paragraph 119, which requires planning policies to support the expansion of electronic communications networks, including next generation mobile technology (such as 5G) and full fibre broadband connections. It also emphasises the importance of access to high-quality digital infrastructure, and how it is expected to be delivered and upgraded over time. Furthermore, the Local Plan should ensure that any additional requirements do not introduce unnecessary duplication or impose obligations beyond national planning policy and legal frameworks, which could hinder the viability of sustainable development.
No
Preferred Options 2025
Representation ID: 98633
Received: 06/03/2025
Respondent: X2 New Settlement Consortium
Agent: Mr Jack Barnes
The policy should align with NPPF Paragraph 119, which requires planning policies to support the expansion of electronic communications networks, including next generation mobile technology (such as 5G) and full fibre broadband connections. It also emphasises the importance of access to high-quality digital infrastructure, and how it is expected to be delivered and upgraded over time. Furthermore, the Local Plan should ensure that any additional requirements do not introduce unnecessary duplication or impose obligations beyond national planning policy and legal frameworks, which could hinder the viability of sustainable development.
No
Preferred Options 2025
Representation ID: 100027
Received: 06/03/2025
Respondent: Welford on Avon Parish Council
THis policy is missing the existing residential communities.
It should be more inclusive and encurgae the retrofitting of high speed infrastructure where new development is added to an existing community.
Yes
Preferred Options 2025
Representation ID: 100362
Received: 06/03/2025
Respondent: Mrs Rebecca Loades
Agreed
Yes
Preferred Options 2025
Representation ID: 100440
Received: 06/03/2025
Respondent: Mrs Lorraine Grocott
na
No
Preferred Options 2025
Representation ID: 100534
Received: 07/03/2025
Respondent: Mr Stephen Draper
C1 proposal is no where near a city so the smart city ( national policy ) is irrelevant
No
Preferred Options 2025
Representation ID: 100753
Received: 07/03/2025
Respondent: Mr Garry Rollason
The policy does not go far enough. All new developments must have the faster full fibre broadband available.
No
Preferred Options 2025
Representation ID: 101008
Received: 07/03/2025
Respondent: - -
Smart Cities appear to be an excuse for oversurveillance and to force everyone to 'go digital' whether they want to or not. Already there are problems because of forcing app use for parking and no train timetables on paper and ticket offices refuse to print them. In London heavy-handed approaches by TFL Enforcement Officers in relation to Oyster Cards (effectively smart cards for buses), which have included false imprisonment and verbal abuse to innocent bus passengers cause trauma and make people resort to private transport. Theft and misuse of data in relation to such regimes is also a growing concern.
No
Preferred Options 2025
Representation ID: 101200
Received: 07/03/2025
Respondent: Mac Mic Group
Agent: Marrons
The policy should align with NPPF Paragraph 119, which requires planning policies to support the expansion of electronic communications networks, including next generation mobile technology (such as 5G) and full fibre broadband connections. It also emphasises the importance of access to high-quality digital infrastructure, and how it is expected to be delivered and upgraded over time. Furthermore, the Local Plan should ensure that any additional requirements do not introduce unnecessary duplication or impose obligations beyond national planning policy and legal frameworks, which could hinder the viability of sustainable development.
No
Preferred Options 2025
Representation ID: 101217
Received: 07/03/2025
Respondent: Hallam Land Management Limited
Agent: Mr Jack Barnes
The policy should align with NPPF Paragraph 119, which requires planning policies to support the expansion of electronic communications networks, including next generation mobile technology (such as 5G) and full fibre broadband connections. It also emphasises the importance of access to high-quality digital infrastructure, and how it is expected to be delivered and upgraded over time. Furthermore, the Local Plan should ensure that any additional requirements do not introduce unnecessary duplication or impose obligations beyond national planning policy and legal frameworks, which could hinder the viability of sustainable development.
Yes
Preferred Options 2025
Representation ID: 101298
Received: 07/03/2025
Respondent: Mr Peter Nixon
Yes
No
Preferred Options 2025
Representation ID: 101398
Received: 07/03/2025
Respondent: Bellway Strategic Land / Ashberry Strategic Land
Agent: Marrons
The policy should align with NPPF Paragraph 119, which requires planning policies to support the expansion of electronic communications networks, including next generation mobile technology (such as 5G) and full fibre broadband connections. It also emphasises the importance of access to high-quality digital infrastructure, and how it is expected to be delivered and upgraded over time. Furthermore, the Local Plan should ensure that any additional requirements do not introduce unnecessary duplication or impose obligations beyond national planning policy and legal frameworks, which could hinder the viability of sustainable development.
No
Preferred Options 2025
Representation ID: 101516
Received: 07/03/2025
Respondent: Alderley Holdings Trust
Agent: Mr Jack Barnes
The policy should align with NPPF Paragraph 119, which requires planning policies to support the expansion of electronic communications networks, including next generation mobile technology (such as 5G) and full fibre broadband connections. It also emphasises the importance of access to high-quality digital infrastructure, and how it is expected to be delivered and upgraded over time. Furthermore, the Local Plan should ensure that any additional requirements do not introduce unnecessary duplication or impose obligations beyond national planning policy and legal frameworks, which could hinder the viability of sustainable development.
No
Preferred Options 2025
Representation ID: 101524
Received: 07/03/2025
Respondent: Hallam Land
Agent: Marrons
The policy should align with NPPF Paragraph 119, which requires planning policies to support the expansion of electronic communications networks, including next generation mobile technology (such as 5G) and full fibre broadband connections. It also emphasises the importance of access to high-quality digital infrastructure, and how it is expected to be delivered and upgraded over time. Furthermore, the Local Plan should ensure that any additional requirements do not introduce unnecessary duplication or impose obligations beyond national planning policy and legal frameworks, which could hinder the viability of sustainable development.
No
Preferred Options 2025
Representation ID: 101716
Received: 07/03/2025
Respondent: Mr Vincent Rollason
This development is not good for the area
Yes
Preferred Options 2025
Representation ID: 101911
Received: 07/03/2025
Respondent: Bishop's Tachbrook Parish Council
Agree
Yes
Preferred Options 2025
Representation ID: 102009
Received: 07/03/2025
Respondent: Mr Simon HARRISON
Leamington is already poorly served with fast broadband connectivity - this has to be a priority for supporting growth and next gen services
No
Preferred Options 2025
Representation ID: 102378
Received: 07/03/2025
Respondent: Richborough
Agent: Marrons
The policy should align with NPPF Paragraph 119, which requires planning policies to support the expansion of electronic communications networks, including next generation mobile technology (such as 5G) and full fibre broadband connections. It also emphasises the importance of access to high-quality digital infrastructure, and how it is expected to be delivered and upgraded over time. Furthermore, the Local Plan should ensure that any additional requirements do not introduce unnecessary duplication or impose obligations beyond national planning policy and legal frameworks, which could hinder the viability of sustainable development.
Other
Preferred Options 2025
Representation ID: 102407
Received: 07/03/2025
Respondent: Taylor Wimpey Strategic Land
Agent: Turley
Taylor Wimpey supports the ‘Smart Cities’ Draft Policy direction in principle, with specific regard to all new residential developments including appropriate wired and wireless infrastructure to provide high speed internet access. However, as recognised within the draft policy wording, technological change is rapid and standards will evolve, and hence flexibility of requirement is necessary. The associated Justification wording cross references Smart Mobility solutions and it would be helpful to incorporate this into the Policy wording.
Other
Preferred Options 2025
Representation ID: 102862
Received: 07/03/2025
Respondent: Turley
Recommend stronger emphasis in this policy to acknowledge need to integrate emerging transport and mobility technologies.
No
Preferred Options 2025
Representation ID: 103112
Received: 07/03/2025
Respondent: Bloor Homes
Agent: Marrons
The policy should align with NPPF Paragraph 119, which requires planning policies to support the expansion of electronic communications networks, including next generation mobile technology (such as 5G) and full fibre broadband connections. It also emphasises the importance of access to high-quality digital infrastructure, and how it is expected to be delivered and upgraded over time. Furthermore, the Local Plan should ensure that any additional requirements do not introduce unnecessary duplication or impose obligations beyond national planning policy and legal frameworks, which could hinder the viability of sustainable development.
Other
Preferred Options 2025
Representation ID: 103635
Received: 07/03/2025
Respondent: Richborough - Salford Road, Bidford-on-Avon
Agent: Turley
Richborough supports Draft Policy Direction 35 in principle, specifically in relation to all new residential developments including appropriate wired and wireless infrastructure to provide high speed internet access. However, it is considered that sufficient flexibility should be built-in to the policy to allow for future changes and feasibility considerations.
Other
Preferred Options 2025
Representation ID: 103637
Received: 07/03/2025
Respondent: Richborough - Gaydon Road, Bishop's Itchington
Agent: Turley
Richborough supports Draft Policy Direction 35 in principle, specifically in relation to all new residential developments including appropriate wired and wireless infrastructure to provide high speed internet access. However, it is considered that sufficient flexibility should be built-in to the policy to allow for future changes and feasibility considerations.
Other
Preferred Options 2025
Representation ID: 103638
Received: 07/03/2025
Respondent: Richborough - Lighthorne Road, Kineton
Agent: Turley
Richborough supports Draft Policy Direction 35 in principle, specifically in relation to all new residential developments including appropriate wired and wireless infrastructure to provide high speed internet access. However, it is considered that sufficient flexibility should be built-in to the policy to allow for future changes and feasibility considerations.