Issue and Options 2023

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Form ID: 77687
Respondent: Trenport Investments Ltd
Agent: WSP UK

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Form ID: 77688
Respondent: Trenport Investments Ltd
Agent: WSP UK

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Appropriate strategy

Form ID: 77689
Respondent: Trenport Investments Ltd
Agent: WSP UK

Yes

A higher limit is appropriate

Form ID: 77697
Respondent: Trenport Investments Ltd
Agent: WSP UK

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Form ID: 77698
Respondent: Trenport Investments Ltd
Agent: WSP UK

Yes

No answer given

Form ID: 77706
Respondent: Trenport Investments Ltd
Agent: WSP UK

Yes

It is both reasonable and suitable for South Warwickshire to accommodate a reasonable proportion of the shortfall from the Birmingham and Black Country HMA. In addition to the LPA’s duty to cooperate on strategic matters, there are additional suitable sites within the South Warwickshire area capable of delivering this housing. Particularly suitable sites include those that are not located within the Green Belt or the Cotswolds National Landscape (formerly Area of Outstanding Natural Beauty), are available now, offer a suitable location, and can achieve housing delivery within five years.

Housing should be delivered on sites which are: not located within the Green Belt or the Cotswolds National Landscape (formerly Area of Outstanding Natural Beauty); are available or will become available; are in sustainable locations; and can achieve housing delivery within five years. Housing delivery should be dispersed across the LGA, in accordance with this spatial growth option. This approach will enable increased supply across a wider geographic range to help meet needs across the whole LGA rather than only focused urban areas. Our clients can provide a sustainable and deliverable site to help accommodate this shortfall in housing. The land is located north of Old School Lane, Lighthorne. The site does not fall within the Green Belt or the Cotswold National Landscape, and is located close to the emerging Gaydon/Lighthorne Heath village centre. It is in Flood Zone 1 and is not constrained by any archaeological or ecological restrictions. The site is also in one ownership, and therefore development is achievable within the next five years.

Form ID: 77708
Respondent: Trenport Investments Ltd
Agent: WSP UK

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Form ID: 77716
Respondent: Trenport Investments Ltd
Agent: WSP UK

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Form ID: 77720
Respondent: Trenport Investments Ltd
Agent: WSP UK

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Form ID: 77725
Respondent: Trenport Investments Ltd
Agent: WSP UK

Housing sites that provide and/or are in proximity of substantial areas of green open space should be afforded significant weight. It is important that new housing promotes inclusive, healthy, and active communities and siting housing schemes nearby large green areas would help facilitate this. Our client’s site provides an excellent opportunity to locate new housing adjacent to a large green space. The northern boundary of the site abuts the extensive parkland area of the Kingston Grange application. There is a footpath proposed as part of the Kingston Grange application which would run parallel to the site just north of the boundary. The concept masterplan, submitted to the Stratford upon Avon’s Site Allocation’s Plan Preferred Options consultation, for our client’s site includes a pedestrian/cycle link through the site, and there is potential for this link to connect with that of the Kingston Grange application. Our client’s site would deliver healthy, safe, and inclusive housing where future residents would have direct access to ample on-site and off-site open green spaces.

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