Preferred Options

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Object

Preferred Options

1. Introduction

Representation ID: 50799

Received: 02/08/2012

Respondent: Bluemark Projects

Agent: Pegasus Group

Representation Summary:

There should be much greater reference to the National Planning Policy Framework (NPPF), the Localism Act 2011 and the Ministerial Statement, Planning for Growth, March 2011 included in the document.

Object

Preferred Options

2. Our Vision for the District

Representation ID: 50800

Received: 02/08/2012

Respondent: Bluemark Projects

Agent: Pegasus Group

Representation Summary:

We question the identification of a specific housing requirement, later contradicted in the Preferred Options document, of 550 new homes per annum on new allocated sites. It is inappropriate to include as part of the Vision which drives the Local Plan, a precise figure for one of the key components of the plan itself thereby raising concerns of a prejudicial approach to the process.

We also note the reference to new development being based on the principles of Sustainable Garden Towns, Suburbs and Villages. We consider this approach to be a bold and interesting proposition, but one which cannot at this stage be held up as a prescriptive means of determining future forms of development. ". However, we feel the Prospectus can be no more at this stage than a starting point for discussion on interesting ideas around urban design.

Object

Preferred Options

3. The Local Plan Process

Representation ID: 50801

Received: 02/08/2012

Respondent: Bluemark Projects

Agent: Pegasus Group

Representation Summary:

We again would suggest that greater reference should be made to the NPPF, and in particular at this juncture to the Localism Act 2011 and the introduction of a duty to co-operate. The Local Plan would benefit from an explanation of the two elements of the duty to co-operate, firstly the issue of legal compliance with provisions in the Localism Act 2011 itself, and secondly matters of soundness as set out in the NPPF.

We note a solitary reference at the end of Paragraph 5.12 to the fact that Warwick District Council will be consulting neighbouring authorities on its proposals, but do not consider this satisfies the legal requirements or the tests of soundness placed on the Council.

We are not aware that this is a formal agreement between in the sub region, as we have seen no evidence of proper co-operation in terms of strategic planning in the sub-region. The clearly established patterns of out-commuting from Warwick into Birmingham suggest that a proportion of the housing needs of Birmingham itself which cannot be met within its boundaries will need to be met within Warwick District.

Object

Preferred Options

Issues

Representation ID: 50802

Received: 02/08/2012

Respondent: Bluemark Projects

Agent: Pegasus Group

Representation Summary:

We agree with many of the issues identified, but consider that opportunities are not properly represented and greater reference should be made to the excellent locational benefits, strong demand for housing and robust local economy which can support growth of benefit not just to the area but to the sub-region and wider region.

Object

Preferred Options

Objectives

Representation ID: 50803

Received: 02/08/2012

Respondent: Bluemark Projects

Agent: Pegasus Group

Representation Summary:

Under the heading 'Objectives' at Paragraph 4.9, we consider that amendment in particular to take account of the NPPF has not gone far enough. In particular, we consider that the overarching objective of the planning system should be recognised, namely helping to secure sustainable development. The Objectives section would also benefit therefore from a clear reference to the Government's view of the three dimensions to sustainable development set out at Paragraph 7 of the NPPF, namely that the planning system should perform an economic role, a social role and an environmental role. We believe these complementary roles are expressed in the objectives set out in the Plan, but they should be referenced more clearly to the NPPF and the achievement of sustainable development.

Object

Preferred Options

5. Preferred Level of Growth

Representation ID: 50804

Received: 02/08/2012

Respondent: Bluemark Projects

Agent: Pegasus Group

Representation Summary:

Under the sub-section Preferred Level of Growth, at Paragraph 5.1, we agree entirely that the Council should "plan for a level of growth that is founded on the best evidence". Again there should be reference to the NPPF and in particular the requirements of Paragraph 159 with regard to planning for an appropriate level of housing growth.

In this regard, the reference repeated at Paragraph 5.2 to an objective to support growth in the region of 550 new homes per annum is inappropriate as an issue or objective, as such a figure can only be derived once a clear understanding of the objectively assessed housing needs of the area has been explicitly set out.

The starting point for understanding the objectively assessed needs of the District should be the most up-to-date household projections available from the Department for Communities and Local Government (DCLG). It is clear from this analysis that the figure of 10,800 dwelling which the Council proposes as its housing requirement falls far short of objectively assessed needs.

Object

Preferred Options

What are the Options?

Representation ID: 50805

Received: 02/08/2012

Respondent: Bluemark Projects

Agent: Pegasus Group

Representation Summary:

We note references in Section 5 at 5.21 that the SHLAA demonstrates the levels of growth up to 700 dwellings per annum can be accommodated within the District in strategically sustainable locations. We are not persuaded, however, by the dismissal of this option on the basis of the cursory explanation that is contained in the final sentence of that paragraph.

Object

Preferred Options

Relevant Issue & Strategic Objectives

Representation ID: 50806

Received: 02/08/2012

Respondent: Bluemark Projects

Agent: Pegasus Group

Representation Summary:

Whilst we support the identification as a key issue at paragraph 7.4, we disagree fundamentally with the preferred level of housing growth that Warwick has chosen to provide for, namely 10,800 new homes between 2011 and 2029, 600 new homes per annum, which fails to accord with the requirements of the NPPF.

The SHMA is solely for the District and it would appear that the Council's assumptions are that this represents the housing market area within which it must meet objectively assessed needs.

Object

Preferred Options

PO3: Broad Location of Growth

Representation ID: 50807

Received: 02/08/2012

Respondent: Bluemark Projects

Agent: Pegasus Group

Representation Summary:

Should be clearer about the focus for most growth being directed within and on the edge of the existing urban areas and the preference in the first instance for the location of development in areas outside the Green Belt.

Object

Preferred Options

TABLE 7.1 Housing to be Allocated in the Plan

Representation ID: 50808

Received: 02/08/2012

Respondent: Bluemark Projects

Agent: Pegasus Group

Representation Summary:

In the absence of any evidence from the Council, it will not be justified in terms of Paragraph 49 of the NPPF to include a windfall allowance. We therefore expect that the Council will need produce the compelling evidence required in order to justify any windfall allowance, which must only apply to sites below the threshold for the SHLAA, and exclude garden land. We therefore have concerns that the Council is currently unable to demonstrate a supply of land for 3,814 dwellings.

In addition, given that we disagree that the figure of 10,800 dwellings is an appropriate housing requirement over the Plan Period, we therefore believe that the balance of land to be allocated through the Plan is significantly in excess of the 6,986 dwellings indicated at Table 7.1.

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