Question 23: Do you support, object or have any comments relating to approach to transport?

Showing comments and forms 31 to 53 of 53

Comment

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22059

Received: 13/03/2020

Respondent: Norwich International Airport

Agent: Barton Willmore

Representation Summary:

6.2 Norwich Airport supports the delivery of the Norwich Western Link road and made
representations to Norfolk County Council in respect of the four potential route options in
February 2019. The Western Link is a critical infrastructure improvement that will help
facilitate this economic growth by increasing the Airport’s accessibility and connectivity.
6.3 As the Site connects directly onto Broadland Northway, the Western Link will connect it
to the A47 (towards King’s Lynn), reducing the number of vehicles using minor roads,
improving the economic growth of the Site and increasing its attractiveness as a strategic
employment location.
6.4 The Western Link Road should be prioritised for construction in the early period of GNLP.

Full text:

Please see attached for full submission
1.1 These representations have been prepared by Barton Willmore LLP on behalf of Regional and City Airports (Norwich Airport Ltd) in respect of the Greater Norwich Local Plan (GNLP) Draft Strategy (2018-2036) document. They are made pursuant to the land known as Site 4, Norwich Airport (GNLP1061)

Attachments:

Object

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22168

Received: 16/03/2020

Respondent: Norwich Liberal Democrats

Number of people: 3

Representation Summary:

Overall we believe that Policy 4 – Strategic Infrastructure lacks ambition in supporting the transition to a low carbon future by achieving modal shift. Although the policy makes reference to achieving modal shift it does not fully recognise the need to integrate transport and land use policies. This relates to the need to embed rail and bus services over road building and the continued use of private cars.
This is evident in the promotion of the Village Clusters model. There would be an increased need to travel for work, education and to access services such as health provision, particularly by private car, due to lack of viable and clean public transport. Given the Climate Change Statement in the Plan, it is impossible to see how the proposed additional allocation of sites for housing in Village Clusters can be justified in areas where there is little or no public transport.
There is no mention of ‘mobility hubs’ as part of a sustainable transport network which are currently being developed through the Transforming Cities Programme.
We believe that improvements to bus services is the key to sustainable transport for the Greater Norwich Area. Key to delivering the climate change agenda and to ensuring the majority of the population have access to reliable, affordable public transport. Also key to achieving this is a plan for a ‘car free’ Norwich city centre. This would help fight multiple public health, environmental and ecological crises – air pollution, child obesity, mental and physical health, biodiversity and of course the climate crisis. Hopefully this ambitious target will be part of the review for Transport for Norwich through the Local Transport Plan.
At the time of writing we still do not know the outcome of the Transforming Cities Bid and the opportunity for Great Norwich to realise a multi-million pound investment in public transport. However if we are to reach a zero carbon target by 2030 the County Council as the Highways Authority must place emphasis on the development of bus services.
Without a comprehensive plan to promote bus travel, for growth of public transport in existing settlements and new developments there will not be investment from the bus companies in electric and hybrid fleets. This investment is needed to improve air quality and to improve the image of bus travel for modal shift to be effective.
The emphasis in Policy 4 is on continued road expansion including commitment to the Western Link Road following on from the completion of the Northern Distributer Road. We strongly object to this emphasis.
There is also a commitment to build a Cross Valley Bus Link between the UEA and the NNUH and the Research Park. Although this is essentially aimed at buses it still involves the building of a new, very expensive bridge to replace the existing one that currently carries cyclists and walkers. Intrusion into the Yare Valley at this point with motorised traffic is unwelcome and unnecessary. This quiet route, with its surrounding wildlife will be lost to another road building scheme. The current roads linking UEA to the NNUH and research Park are adequate. The few minutes of savings in bus times when there is congestion on these roads will be unnecessary once there is a shift to more commuters using Park & Ride and there being better connectivity by rail with a station at Thickthorn serving the Research park and the NNUH. We oppose the building of the Western Link and the Yare valley bus link.
This emphasis on road building contradicts the aim to ‘promote modal shift’ by seeking ‘improvements to the bus, cycling and walking networks,’ and contradicts the plan’s aim in Section 4 of mitigating climate change.
The support for growth of Norwich Airport again is another example of such contradiction. We do not support the growth of Norwich Airport.
With rapid economic growth and substantial new housing developments taking place it is vital that rail travel plays a substantial and sustainable role in transporting people to and from greater Norwich and improving connectivity to Cambridge. Improved Rail transport would help reach carbon reduction targets for Norwich as well as reducing congestion and improving air quality. Yet there is only one statement ‘promoting enhancement of rail services, including improved journey times and reliability to London and Cambridge, supporting the East-West Rail link and innovative use of the local rial network’. There is no detail as to how this will be achieved.
It is hoped that as a consequence of the consultation to the draft Norfolk Rail Prospectus there will be a greater commitment to rail services from the County Council and the LEP and the part they can play in economic and social development of Norfolk and Greater Norwich in particular.

Full text:

Please see attached for full submission

Attachments:

Support

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22169

Received: 16/03/2020

Respondent: Norwich Liberal Democrats

Number of people: 3

Representation Summary:

We support the idea of a new station at Broadland Business Park and welcome further studies for a new station at Rackheath. We believe that the completion of the East West Rail link in the mid to late 20’s opens up opportunities for a new station at Thickthorn to serve the UEA, Research Park with its 12,000 jobs, and the NNUH. This would mean that passengers do not have to journey into Norwich and then out to these destinations which further congests and pollutes Norwich, especially to the South.
The new station, together with a Transport Hub would provide easy access by rapid bus, taxis, car club hire cars and cycle hire to travel the short distance to the UEA, Research Park and NNUH. Such a station would also serve the rapidly growing residential area South of Norwich.
We understand that one impediment to Norwich fully benefiting from the East West Rail Link would be the Trowse Swing Bridge which needs replacing with a two track bridge. We urge the County Council to work with Network rail to achieve this vital new infrastructure.

Full text:

Please see attached for full submission

Attachments:

Comment

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22248

Received: 16/03/2020

Respondent: Suffolk County Council

Representation Summary:

With the proposed construction of roundabouts on the A140 and the level of growth anticipated in the GNLP, there is the opportunity for enabling improved connections and journey times for bus services to Diss Railway Station across the county boundary. Doing so would provide better access to the train station and encourage the use of public transport, which aligns with the need to reduce carbon emissions and promote modal shift.

SCC is able to provide transport data to inform the future traffic modelling work to support the evidence-base of the Greater Norwich Local Plan. There are cross-border linkages that will need to be considered, as will the resultant additional journeys from this part of Norfolk into Suffolk and vice versa. The County Council is available to assist with such evidence during the next stages of the production of the plan, including the site allocations and clusters for South Norfolk. The key strategic road links are likely to be A140, A143, A146 and B1077. Other routes may be impacted by localised impacts, and this will need to be assessed through the modelling to inform the next stages of the plan making process. Improvements to the A140, specifically around Long Stratton, may reduce longer distance travel times between north Suffolk and the Norwich area, increasing people’s propensity to commute longer distances, and increasing cross-border traffic flows and stress at key strategic junctions.

Where there is development and final destinations are in Suffolk, consideration of passenger transport infrastructure could be funded for by the Greater Norwich Infrastructure Levy connected to development.

SCC is happy to work cross-border to make sure we get the best value for money and more useful passenger transport routes. The nature of the borderlands means Suffolk residents have tendency to travel to Thetford, Diss and Harleston whilst Norfolk residents would travel to Bungay, Beccles, Eye and Brandon and other similar settlements.

Full text:

Please see attached for full submission

Attachments:

Object

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22297

Received: 16/03/2020

Respondent: Create Consulting Engineers Ltd.

Representation Summary:

We contend that the present movement infrastructure proposition underlying the GNLP falls short of planning for sustainable movement, and consequently fails to maximise a sustainable land use pattern to underpin growth over the period 2018‐2038 without an orbital transport proposal.

The coming years represent a critical moment for us to take responsibility for sustainability and to plan future growth to ensure that the urban footprint and infrastructure decisions we make now maximises ‘good growth’ for future generations.

We anticipate that, as measures to mitigate climate change are re‐prioritised following the many incidents of extreme weather that have been experienced on a global basis over recent years, the drive towards more sustainable development patterns will intensify. The ambition for environmental net gain is embedded in the ambition of the present Environment and Agriculture Bills, and we anticipate that it may also become an embedded requirement of the government’s anticipated Planning Bill and we would therefore suggest that in order to robustly plan forward 20 years, that the infrastructure planning is fundamentally important.

We make the following background points in support of this position:

We observe that movement technology and consumer habits with regard to lifestyle choice are rapidly changing. Increasing concern at the effects of pollution on human health is bringing cleaner movement technology. The advent of electric vehicles makes cars more acceptable within urban environments, sets up a requirement for charging facilities, however retains the need to plan for movements of volumes of private vehicles throughout the road network. Fractional ownership is on the rise via car clubs (a pioneer in this industry is based in Norwich), and, together with lift share technology revolutionises the need to own a private car. Automation may deliver self driving cars on public highways, however will certainly improve the viability of self‐driving public transport systems. Materials technology is becoming lighter which will also assist reducing the cost in use of light public transport systems. All of the advances set out need to be considered and provided for in planning for movement, infrastructure and transport decision‐making. We contend that the GNLP, as currently conceived, does not sufficiently consider presently available innovative movement technology in its planning for movement, nor does it provide a sufficiently robust movement proposition such that technological advances can be grasped for the benefit of the greater Norwich area over the coming 20 year period.

At the same time, the general public is increasingly adopting a more responsible attitude to the impact of excessive car use. Many individuals, both for reasons of principle and economy, are choosing not to own their own car. The advent of micro electric vehicles is opening up new opportunities for ‘last mile’ – or even ‘last 3 miles’ movement. Within the property context, this is being reflected in many cities by an increasing drive to produce mixed use neighbourhoods which provide for daily needs within walkable public transport accessible neighbourhoods. The delivery of mixed use, public transport‐accessible neighbourhoods should be a key underpinning building block of the GNLP to be more sustainable, support health and well‐being and lifestyle choice, and to deliver sustainable new growth. Equally, an optimal public transport proposition needs to be planned in, together with the density and disposition of supporting land uses, such that there is a sufficient density of population within a walkable distance of public transport stops, and trip generating uses in their vicinity so as to make new, additional public transport provision viable both on a capital and revenue basis.

Localised trip reduction achievable through moving towards a more mixed use urban footprint, and modal shift towards public transport and other sustainable modes would have the consequence of freeing up capacity on the existing road networks, and enable a more optimal distribution of existing road capacity. A fundamental ambition of the GNLP should be to deliver choice and the ability for households to ‘live locally’, supported by public transport access to employment areas and more strategic facilities such as the city centre, UEA, Airport, Norwich Railway Station and Norwich & Norfolk Hospital.

For the reasons set out above Create, Smart Growth and Others to consider how a more sustainable urban transport proposition for the greater Norwich area could be conceived to support a more sustainable movement and growth plan. We submit the attached drawings based on our knowledge and analysis of the Norwich area, coupled with our collective professional experience.

These describe the potential of planning for additional public transport within the Greater Norwich area to support circular movement on sustainable basis connecting the Broadland Business Park in the east (with its planned stop on the Bittern Mainline), with the Airport Business Park, Norwich Airport to the North. We believe that the route might be extended onward through established suburbs in North Norwich to connect onward to the University of East Anglia, Norwich Research Park and Norwich & Norfolk Hospital, and then onward to a new station on the Norwich to Cambridge line in vicinity of Thickthorn a short distance from the park and ride.

A second route would intersect with the orbital movement route set out, which would envisage the delivery of a new light rail service connecting Norwich City Centre along the Marriott’s Way at least as far as Thorpe Marriott. This would be designed to operate in complement to much‐valued bike and walking routes along the Wensum Valley. Both routes would connect existing centres of population with key centres of economic and public activity within the Greater Norwich area enabling modal shift and more sustainable access. This would underpin additional connection by public transport between Norwich city centre and the UEA/NRP/NNUH campus, delivering a viable green transport plan for the burgeoning number of student residence driving development in Norwich City Centre.

Further light rail could be proposed using the existing rail lines of the last section into Norwich of the Bittern Line and Gt Yarmouth line, providing a fast/efficient service for commuters from the North East Growth Triangle and from villages to the east of Norwich. This would involve the construction of a new multi‐modal interchange at the NDR junction of Plumstead Road, providing a high quality regular rail service from the City Centre to the Broadland Business Park and the growing residential community.

A new Norwich Orbital Service would link the main employment areas of the east, the north, with a link across to the NRP/UEA/Norwich University Hospital cluster. This new orbital service could either initially be an autonomous electric bus based route, or could be developed into either light rail or a tram system.

It is intended that this new strategic multi‐modal transport strategy would be managed and controlled as part of a new SMART transport strategy for Norwich. This would manage and coordinate traffic flows in the City Centre, especially around the inner ring road, with detailed travel advice being provided live to end users, enabling people to choose the most efficient and sustainable route and mode of travel into the Historic City centre. Hopefully ensuring that access is maintained to the city enabling it to retain its role as the main economic centre of the region whilst protecting its historic core.

Finally, the proposition would also underpin a sustainable leisure and recreational proposition for the growth areas connecting the established and new urban populations via sustainable movement modes to:
• The potential of linked green infrastructure across the NE Growth Sector including Redmayne, Belmore Park and White House Farm and woods.
• Access to the woodlands in vicinity of Horsford and Drayton Drewery
• The Walsingham Way historic pilgrimage route along the Wensum Valley
• Sports facilities at UEA campus

This would be intensified if provision were available to transport bicycles to the edge of the city safely and easily; and for transport interchanges at key points along the route to also offer bike and e bike hire, and parking.

We further understand that, due to increasingly efficient emerging technology, the viability case for local and light rail is becoming easier to demonstrate. Local rail connections to unlock sustainable local movement and productivity are increasingly of interest to the Department of Transport and BEIS, and Norwich should consider the implications of this in its future planning.

We therefore recommend that the GNLP includes the potential for building significant new public transport infrastructure on the basis of the routes identified into the GNLP so as to secure a strategy that delivers on sustainability, enabling a shift towards a more sustainable movement provision, and enabled by footprinting existing and new settlement to be more walkable and public transport accessible, which could include land use on a mixed use basis in the vicinity of public transport stops.

Full text:

For full representation, please refer to attached documents

Object

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22416

Received: 16/03/2020

Respondent: Norwich Green Party

Representation Summary:

We object to the proposed transport strategy. Specifically, we object to road building schemes; to the failure to identify measures for making best use of the transport network; of the GNDP to upgrade the public transport system as part of the JCS and enabling additional road traffic growth; to the lack of alternative sources of funding in place of the Transforming Cities Fund for facilitating modal switch to sustainable transport; to the lack of demand management measures for constraining traffic.
Specifically, we object to:
- delivery of the Norwich Western Link Road
- enhancement of the Major Road Network
- supporting improvements to the A47.
- supporting growth of Norwich Airport.

Along with climate change, transport is the weakest policy area in the GNLP as the priority given to road building schemes as a key driver for growth is inconsistent with other policy objectives, notably climate change mitigation. The aim of reducing road congestion and improve journey times for drivers and goods is unachievable. This is because faster journeys by road make road transport easier, initially, and therefore facilitating growth in car and lorry traffic, but over time, the additional traffic generated creates new congestion and leads to a vicious circle in the call for more road building. Also, speeding up journey times allows people to live further from their workplaces which encourages dispersal of development.
The GNLP relies, firstly, on the transition to electric vehicles to solve the transport sector's rising share of carbon emissions in Norfolk. However, the manufacture of electric vehicles involves considerable carbon as does road construction. Transport's share of carbon emissions is increasing because motorists have been buying larger and heavier vehicles. It will take many decades before all vehicles are zero carbon powered. Also, the widespread take-up of electric vehicles would not address the problems caused by decentralisation of activities as people and jobs move out of the urban areas to the suburbs, green field sites on the periphery of towns and cities and to villages.
Objection to Norwich Western Link
The proposed road would cause large adverse harm to the River Wensum SAC and to the Wensum and Tud valleys with their complex mosaic of habitats and protected wildlife. It would generate traffic across the valley and open up land at Easton and Honningham for major development. It would increase carbon emissions, air pollution and noise.
We consider that the County Council has not made the case for a NWL. Current levels of traffic across the Wensum valley do not justify a four lane road carried on a viaduct and the resultant level of environmental damage. Traffic modelling assumed a substantial number of jobs at Easton Food Hub and a new settlement at Honningham. The latter has been de-prioritised whilst the predicted number of jobs at the Food Hub has been considerably reduced. As a result, the cost benefit ratio is likely to be far lower than calculated.
We consider that the NWL should be removed from the GNLP at this stage, until such time further work has been done. For example, Norfolk County Council's habitat assessment has not picked up the presence of a large colony of Barbestella Bats living in the woods on the line of the Preferred Route.
The Habitats Regulation Appropriate Assessment of Policy 4 ‘Strategic Infrastructure’ (Section 8) states that there is potential for the NWL river crossing to cause harm to the Wensum SAC It recommends amending the policy to reflect the importance of avoiding adverse effect upon the River Wensum SAC. The recommended text for the policy text relating to the road reads:
• ‘Delivery of the Norwich Western Link Road provided that it can be achieved without causing an adverse affect on the integrity of the River Wensum SAC.’
The GNLP Policy 4 should be amended as above. However, just to underline that our preference is to see deletion of the NWL at this stage.

Reasonable alternatives to a NWL have not been considered. The County has assessed a large number of non-road building measures individually, but not a large package of combined measures.

Our Objections to A47 Dualling (including Blofield to North Burlingham, Thickthorn and Easton to North Tuddenham)

We object on a number of grounds: increase in carbon emissions, air pollution and noise, large land take especially in the case of proposed junctions at Thickthorn, Wood Lane and Norwich Road junction; impact on wildlife habitats such as River Tud and protected species (otters, water voles, bats, owls); traffic generation and increase in car commuting. The North Tuddenham to Easton scheme is likely to draw in traffic from north of Norwich and funnel traffic to the south of Norwich via the Thickthorn junction improvements.
The Preliminary Environmental Information Reports accompanying the schemes all acknowledge a probable increase in carbon emissions for both construction and operation. In the light of the Appeal Court ruling on a third runway at Heathrow and failure of the government to consider whether the schemes is consistent with the Paris Agreement and the amended Climate Change Act 2008, a legal challenge over the roads programme is likely.
Alternatives to the A47 Dualling include: small scale safety measures; digital technology to create Smart highways; travel planning to reduce single use car commuting and encourage modal switch to sustainable transport. Also, it is highly likely that the government will need to consider an alternative to fuel duty such as some form of national road pricing and this would dampen demand for travel by private car and lorry.

Norwich Airport
We oppose expansion of the airport on climate change grounds. Expansion of regional airports is not the answer to a third runway at Heathrow. People need to fly less if the UK is to meet it carbon commitments as has been acknowledged by the Committee on Climate Change. The problem is caused by frequent flyers and not by people taking one annual holiday flight.

Non-road Building Parts of the Transport for Norwich Strategy
Norwich Green Party supports:
- significant improvements to the bus, cycling and walking network to promote modal shift.
However, we consider that a more radical package of measures is needed in order to achieve a much large degree of modal shift. Transforming Cities bid for £100million calculated a mere 6% increase in bus passengers as a result of proposed investment in sustainable transport. This level of switch is far too low for dealing with the scale of the problem. Regrettably, the Joint Transforming Cities bid has been unsuccessful and Norwich will share £117million with two other cities. £40million is nowhere near enough to upgrade a public transport system based on three cross-city corridors, when Norfolk County Council costed a bus rapid transit system at £140million in its evidence to the NDR inquiry in 2014. Growth in and around Norwich has been predicated on developing public transport and the failure to secure funding throws delivery of the JCS and GNLP into crisis. Alternative sources of funding must be found otherwise growth in and around Norwich will take place in the absence of major public transport improvements which would be a disaster for Norfolk's carbon emissions. One alternative source of funds is workplace parking charges, but it would take several years to implement.
We do not support:
 Developing the role of the park and ride system.
Rather than extend the network and take up green field sites for more car parking, drivers should be encouraged to leave their cars at home and catch the train/bus where possible. Extension of Postwick park and ride resulted in the County Council leasing the additional car parking spaces to Aviva for their staff at Broadland Business Park as there was insufficient take up of park and ride in this location.
- A cross valley bus link between UEA and Norwich Research Park.
This would be very environmentally damaging.
The above two proposals are somewhat academic at present as they are included in the Transforming Cities bid which hasn't been fully funded.

An Alternative Transport for Norwich Strategy
We would like to see a road traffic reduction strategy for the Greater Norwich area to include:
- make use of existing road capacity and no new major road building;
- substantial package of sustainable transport measures (alternative sources of funding will need to be found such as Workplace Parking Charges);
- traffic demand management measures (such as Workplace Parking Charges) and also land use planning measures, notably, car free developments, much higher parking standards across Greater Norwich, review of public parking tariffs.
- traffic management measures (safe roads and streets such as a zero tolerance strategy to eliminate deaths and serious injuries on the roads);
- enhancement of the local rail network.

Full text:

For full representation and additional information submitted, please refer to the attached documents.

Comment

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22472

Received: 16/03/2020

Respondent: Breckland District Council

Representation Summary:

The Greater Norwich Energy Infrastructure Study April 2019 identifies shortfalls in supply for new development proposed in the GNLP and will also impact on development outside GNLP. It refers to Sall Grid which supplies North Norfolk and Breckland along with Diss Grid which supplies West Suffolk and Breckland which are at full capacity.

Breckland District Council would welcome the opportunity to engage with GNLP to explore a joint approach to any constraints which may arise as a result of the cumulative growth in both planned areas

Full text:

See attachment for officer level response from Breckland Council

Comment

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22489

Received: 16/03/2020

Respondent: Highways England

Representation Summary:

It is suggested that paragraph 205 should be amended stating that delivery timescales are set out in the current Highways England delivery plan. The dates shown are subject to Development Consent Order and other process, and therefore are subject to change.
Highways England is supportive of the general approach to the policy on strategic infrastructure as it accords with a key purpose of the Strategic Road Network which is to facilitate economic growth.
Where there is a need for additional junctions on the Strategic Road Network, this is subject to government policy as set out in DfT Circular 02/2013 The Strategic Road Network and the Delivery of Sustainable Development there is a presumption against new junctions except where they can be demonstrated they meet a strategic growth test.

Full text:

Thank you for inviting Highways England to comment on the Regulation 18 Draft Review of the Greater Norwich Local Plan (GNLP), which is prepared jointly by three local authorities - Broadland District Council, Norwich City Council and South Norfolk Council through the Greater Norwich Development Partnership (GNDP). This document expresses our views on the Draft Strategy and Site Allocations for future development as mentioned in this GNLP.
Highways England is responsible for the operation, maintenance and improvement of the Strategic Road Network (SRN) in England on behalf of the Secretary of the State. In the area within and surrounding Norfolk, this relates to the A11 and A47 trunk roads.
Consequently, our comments on the draft Local Plan which are set out below are limited to those aspects/strategies which may have impacts related to these two trunk roads.

See attached

Comment

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22519

Received: 16/03/2020

Respondent: Broadland Green Party

Representation Summary:

There is very little substance regarding the improvement and expansion of public transport to reduce car use and offer a convenient alternative. We would expect, however, that further funding of the kind that central government has recently announced for the expansion of bus transport will be made available to transform the existing road system to efficiently use any additional bus fleet. Such a pledge needs to be included in the future plan.
The NDR was designed, as the name states, as a “distributor road” and to service the North East Growth Triangle. The quickest route from the NE Growth Triangle to the A47 Westbound is via the Postwick junction and so a “Western link road” is not necessary to accommodate traffic from the North East. The NDR was designed to work without the Western Link. Way back in 2006 a Western Link was not included in the design for environmental reasons. Nothing has changed to alter this view. Before construction of the NDR was started Mott MacDonald were asked to look at upgrading a route from the A47 to the A1067 Fakenham Road “to B-road standard”. In practice we believe this meant wide enough for two trucks to pass each other easily. The route is now classified as the B1535. There has been a problem of “rat running” through areas such as Western Longville, Ringland, Drayton, Costessey and Taverham which has been made worse by the NDR which channels traffic through these areas. The answer to “rat running” is not more roads, and especially not the proposed Wensum link road which will irrevocably damage the environment and biodiversity. The solution is hugely improved public transport and a culture change in traditional forms of commuting and working. The plan should address how this culture change and the improved public transport is to be achieved. Currently, it does not.
There was supposed to be bus priority work in Norwich, reallocating road space freed up by the NDR. This has not happened. If it is not done soon that road space is likely to be taken up by new traffic expanding to fit the space available. Most of the so called “bus priority work”, Bus Rapid Transit (BRT), on Dereham Road, for example, employed measures that helped all traffic, which does not help modal shift.

Full text:

I attach the feedback from Broadland Green Party members on the GNLP Consultation.

Each section is identified but not all questions have been answered. However, all questions are included to maintain the numbering.

See attached

Attachments:

Comment

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22649

Received: 16/03/2020

Respondent: Sport England

Number of people: 2

Representation Summary:

Sport England supports this policy as it seeks to make significant improvements to the cycling and walking network, to encourage more people to cycle and walk to work, or for leisure, and the development of a multi-functional green infrastructure network.

With regard to increase in school capacity, this should not be at the expense of existing outdoor spaces for sport (e.g. playing fields, games courts). Sport England have a statutory remit to protect existing playing fields and we will object to schemes that result in a loss of playing fields without meeting any of the exceptions identified in our adopted policy of Para 97 of the NPPF.

Full text:

Q17 – Sustainable Growth Strategy

Infrastructure requirements should be widened to include social infrastructure such as schools and outdoor/indoor spaces for sport and physical activity


Q18 – Sustainable Communities

Sport England supports this policy, which seeks to increase opportunities for healthy and active lifestyles.
Sport England, in conjunction with Public Health England, has produced ‘Active Design’ (October 2015), a guide to planning new developments that create the right environment to help people get more active, more often in the interests of health and wellbeing. The guidance sets out ten key principles for ensuring new developments incorporate opportunities for people to take part in sport and physical activity. The Active Design principles are aimed at contributing towards the Government’s desire for the planning system to promote healthy communities through good urban design. Sport England would commend the use of the guidance in the master planning process for new residential developments. The document can be downloaded via the following link: https://www.sportengland.org/how-we-can-help/facilities-and-planning/design-and-cost-guidance/active-design
Sport England would support referencing Active Design in the supporting text for this policy, as the guidance will assist in the development of sustainable communities to make increased opportunities for sport and physical activity.

Q23 – Strategic Infrastructure

Sport England supports this policy as it seeks to make significant improvements to the cycling and walking network, to encourage more people to cycle and walk to work, or for leisure, and the development of a multi-functional green infrastructure network.

With regard to increase in school capacity, this should not be at the expense of existing outdoor spaces for sport (e.g. playing fields, games courts). Sport England have a statutory remit to protect existing playing fields and we will object to schemes that result in a loss of playing fields without meeting any of the exceptions identified in our adopted policy of Para 97 of the NPPF.

Comment

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22665

Received: 16/03/2020

Respondent: Saxlingham Nethergate Parish Council

Representation Summary:

CPRE Norfolk supports the provision of new railway stations at Rackheath and especially Dussindale as outlined in paragraph 206.

We note the contradiction in the Transport for Norwich Strategy as reflected in Policy 4 – Strategic Infrastructure, when it aims ‘to promote modal shift’ by having ‘significant improvements to the bus, cycling and walking network’ on the one hand, but promotes ‘delivery of the Norwich Western Link road’ on the other. CPRE Norfolk fully supports the former set of aims while opposing the latter.

CPRE Norfolk supports ‘protection of the function of strategic transport routes (corridors of movement)’, and as part of this strongly suggests that no industrial development should be permitted on unallocated sites along such corridors of movement.

The desire to support ‘the growth and regional significance of Norwich Airport for both leisure and business travel to destinations across the UK and beyond’ surely contradicts the aspirations for addressing climate change stated within Section 4 of the draft GNLP?

Public transport provision needs to be improved and made affordable, not only between main towns and key service centres, but to and from smaller settlements. This is essential even without any further growth of these settlements, as many areas of rural Norfolk have become public transport deserts.

Full text:

Saxlingham Nethergate Parish Council met last week and considered their response to the current consultation.

They noted, considered and decided to fully endorse the response produced by CPRE in full (attached).

Q1 Please comment on or highlight any inaccuracies within the introduction

Please see our more detailed responses to the questions below, which make our concerns clear. In particular we have a major concern with the Draft Strategy as it makes no mention of using phasing for the delivery of new housing. We consider that any new sites allocated in the GNLP should be phased by being placed on a reserve list, and under phased development only built out when most of the existing JCS sites have been used. Inclusion of all the sites for immediate development will lead to developers “cherry-picking” the most profitable sites and newly allocated green field sites in less sustainable locations will be developed first, with even more land banking of currently allocated sites. In short, deliver the already allocated 82% of the 44,500 new homes, before giving permissions on the remaining 18%.

The current Local Plan, the Joint Core Strategy (JCS) was adopted in March 2011 with amendments adopted in January 2014: it has been in place for just over 6 years. When adopted, it was considered to be the blueprint for development in Norwich, Broadland and South Norfolk until 2026, and in doing so provided clear signals about where growth should and should not take place. In the introduction to the current consultation document it is stated that housing, jobs, services and infrastructure needs to be provided at the right time ‘and in the right places’. CPRE Norfolk questions how the response to this has changed so markedly since adoption of the JCS and well before that Local Plan was due to expire. In particular, the construction of the Broadland Northway (NDR) (noted in paragraph 7 of the introduction) was largely intended to help the distribution of traffic to and from new housing built inside its length and in the northeast growth triangle. Moreover, there was a clear focus for housing and other growth to be in and close to Norwich, with minimal new development to be permitted in the rural policy areas of Broadland and South Norfolk. The GNLP strategy seems to be contradicting the direction of travel envisaged in the JCS and appears to undermine the planning process. A great strength of the JCS is the protection it gave to the rural areas: this seems to be sacrificed in the GNLP Draft Plan.

Paragraph 6 of the Introduction is clear that ‘the GNLP must also assist the move to a post-carbon economy and protect and enhance our many environmental assets.’ It will be difficult if not impossible to meet these targets if new housing to the scale proposed in the draft strategy is dispersed across the rural areas of Broadland and South Norfolk. The main justification for this appears to be the availability of primary school places in the “village clusters”, whereas there are more important measures for sustainability which should be taken into account, including the number of car journeys and journeys by delivery vehicles to new housing, along with the associated congestion such vehicles will result in.

The introduction mentions in paragraph 25 that South Norfolk District Council will draw up its own South Norfolk Village Clusters Housing Site Allocations document. CPRE Norfolk is very concerned that by adopting such an approach this allocations document will not receive the same level of scrutiny as the main draft strategy document. We are also very concerned that the number of additional dwellings on top of the existing commitment of 1,349 houses is given as ‘a minimum of 1,200’. The use of the word ‘minimum’ is unnecessary and potentially very alarming, as in effect this gives no limit to the maximum number of houses which could be allocated in those “village clusters”. Given the draft plan provides enough committed sites ‘to accommodate 9% more homes than “need”, along with two “contingency” locations for growth’ (page 37) and does not include windfall developments in its housing totals, the word “minimum” should be replaced with “maximum” or “up to” as is the case with the figures for Broadland’s “village clusters”. Why is there this discrepancy in language between two authorities which are part of the same Local Plan: it appears to be inconsistent and illogical.

Q3 Please comment on or highlight any inaccuracies within the spatial profile.

Paragraph 41 states that ‘this GNLP needs to plan for additional housing needs above and beyond existing commitments based on the most up-to date evidence’. However, the calculations of housing need are based on the 2014 National Household Projections, which are not the most up-to date statistics, nor are they sufficiently robust to be used for such an important and far-reaching strategy. CPRE Norfolk admits that the 2014 figures are those which central Government expects to be used. However, several Local Planning Authorities, including North Norfolk District Council, are challenging the use of the 2014 figures, instead suggesting that the more up-to date 2016 National Household Projections should be used. CPRE Norfolk agrees that the GNLP needs to be based on the most up-to date evidence, and therefore requests the GNDP insists on using the 2016 National Household Projections. If the most recent ONS statistics had been used, current commitments are sufficient to cover housing needs to 2038.

Q6 Do you support or object to the vision and objectives for Greater Norwich?

A major concern is that the draft plan largely consists of a wish list, but lacks real targets or actions, particularly on the environment and climate change. For example, our environment is lauded but the draft plan notes in paragraph 37 that life expectancy for men in Norwich is 10.9 years lower in the most deprived areas compared to the least deprived. We cannot see any specifics within the draft plan as to how this shocking fact is to be addressed.

Paragraph 120 stresses the need for ‘good access to services and facilities’ for ‘our suburbs, towns and villages’. While this is provided in the first two categories of settlement there is insufficient provision or access to services in many of the settlements within the “village clusters”. The decision to allocate additional new housing beyond what is already allocated within the JCS is based almost solely on the existence of a primary school with available places or potential for expansion within the “cluster”. This does not amount to the provision of ‘good access to services and facilities’ and therefore this level of new housing in “village clusters” should not be permitted within the GNLP.

Paragraph 125 is perhaps the strongest argument for not allocating additional housing to “village clusters” within the GNLP. Clearly, there will be a major need for journeys from and to work for many of those living in any such new housing, in addition to additional journeys by delivery vehicles to this new housing. This paragraph states the need for ‘a radical shift away from the use of the private car, with many people walking, cycling or using clean public transport.’ For the majority of the plan period it is highly wishful thinking to think that ‘electric vehicles will predominate throughout Greater Norwich’. These additional journeys will not only add to the “carbon footprint” but will also add to congestion on the road network, affecting air quality and the wellbeing of residents. If the intention of the GNLP is to locate housing close to jobs, which we agree should be a major aim, then any additional allocations of housing should be located in or close to Norwich, where there are realistic opportunities to walk or cycle to work and to services, or to use public transport to do so. The existing allocations of housing within the JCS and to be carried forward to the GNLP will provide sufficient new accommodation close to other places of work in main towns and key service centres.

Paragraph 129 states: ‘greater efficiency in water and energy usage will have minimised the need for new infrastructure, and further reductions in carbon emissions will be delivered through the increased use of sustainable energy sources. New water efficient buildings will have also contributed to the protection of our water resources and water quality, helping to ensure the protection of our rivers, the Broads and our other wetland habitats.’ We strongly feel that it is imperative that Per Capita Consumption (PCC) of water is further reduced to below the Government’s prescribed 110 litres per person per day in order to deliver this statement in paragraph 129. East Anglia is the driest region in the UK: our aquifers, rivers and wetlands are already at breaking point, as are many of the region’s farmers, who are seeing their abstraction licences reduced or revoked. If more demanding standards to reduce PCC water consumption are not set as part of the GNLP, this will further adversely impact upon the environment, impacting on the Broads and wetlands, which in turn will impact the region’s aspirational growth for tourism and will severely impact the regional agricultural economy. To ensure that the water-supply to existing users is not compromised it is sensible to restrict the number of new houses to a level that realistically covers actual need, and this fact reinforces our case for phasing of housing and our questioning of the need for a higher than necessary buffer.

Paragraph 132 makes the claim that new quality development will be located to minimise the loss of green-field land. CPRE Norfolk strongly suggests that the best way to achieve this is not to allocate additional sites for housing in “village clusters”. Indeed, there are already sufficient allocated sites for housing in the JCS being proposed to be carried forward to the GNLP in the Norwich fringe parishes, main towns and key service centres to keep pace with the likely build rates of development. The exception to this should be any brownfield sites, particularly those within Norwich, which should be prioritised into a “brownfield first” policy. This should form part of a phased approach to new housing, so that existing allocations from the JCS and any brownfield sites should be developed before permitting any additional allocated sites to be built-out.
One effective way to prevent the unnecessary loss of much greenfield land would be to institute a green belt on the “green wedges” model around Norwich, as requested by 84 respondents and 1,912 petition signatories (currently at 2,200 signatures) calling for this according to the draft statement of consultation, September 2018, for the Stage A Regulation 18 Site Proposals and Growth Options consultation. CPRE Norfolk is very concerned that this proposal or option has been removed from the current consultation.

In conclusion for this question, we find that the vision and objectives contain serious flaws, especially in regard to the way in which they conflict with policies within the current Local Plan, which withstood the rigorous inspection process.

Q9 Do you support, object, or have any comments relating to the approach to Housing set out in the Delivery Statement?

This states that ‘this plan also provides choice and flexibility by ensuring there are enough committed sites to accommodate 9% more homes than “need”.’ CPRE Norfolk disagrees that such a high level of sites should be provided within the GNLP. As a starting point please refer to our response to Q3 where we argue that the insistence of the Government to use the 2014 National Household Projections should be challenged to ensure that the most up-to date figures are used instead. In addition, by proposing not to include windfalls in the buffer the over-allocation of unnecessary housing will be compounded further.

It is very disappointing that there is no mention of phasing as an option within the Draft Plan and Housing Delivery Statement, as this would help to prevent the worst excesses of unnecessary development. 69 Parish and Town Councils in Broadland and South Norfolk (over 38%) have supported CPRE Norfolk on this issue and have signed a pledge to this effect. With this groundswell of grassroots opinion making such a strong case, we urge the GNDP in producing the GNLP to consider phasing seriously as the most reasonable way forward.

Q12 Do you support, object, or have any comments relating to the Climate Change Statement?

Given the stated measures in the Climate Change Statement, it is impossible to see how the proposed additional allocation of sites for housing in “village clusters” can be justified. Furthermore, it is stated that ‘growth in villages is located where there is good access to services to support their retention’, when this is rarely the case beyond providing a primary school with sufficient places or room for expansion. Many services are simply not located within the “village clusters” with many additional vehicle journeys being an inevitable consequence of such housing allocations. Therefore, these would be contrary to measures 2 and 3 of the Climate Change Statement.

By locating additional housing in “village clusters” there would be an increased need to travel, particularly by private car, due to the lack of viable and clean public transport. If Climate Change is seriously going to be addressed then it is unacceptable to allocate additional sites for housing in rural areas which are not at all, or poorly served by public transport. New housing must be located where jobs and a wide range of services are or can be provided.

In addition CPRE Norfolk is concerned by the lack of any detailed policy on the design of new housing in the draft Plan document, other than a brief mention in the ‘Design of development’ in the Climate Change Statement. Detailed requirements to insist that new houses are built to the highest possible environmental standards beyond the Government’s minimum standards are needed, if serious steps are to be taken towards addressing Climate Change issues.

Q13 Do you agree with the proposed Settlement Hierarchy and the proposed distribution of housing within the hierarchy?

We supported the continuation of the settlement hierarchy as defined in the JCS. We wonder why and where the concept of “village clusters” has been introduced into the planning process. For many reasons they appear to be a flawed unsustainable concept. A real strength of the JCS was its inclusion of a Norwich Policy Area and Rural Policy Areas, and therefore we are very disappointed that this distinction has been abolished. The Rural Policy Areas gave real protection to the countryside: this is threatened by the introduction of the village cluster approach. This is another example of how the Draft GNLP contradicts the existing agreed Local Plan.

As noted above in our response to Q1 CPRE Norfolk has serious misgivings about the separation of the sites and allocations for new housing in the South Norfolk Village Clusters from the rest of the GNLP and its current consultation. In addition, we strongly object to the use of the open-ended statement that these South Norfolk “village clusters” will be allocated a ‘minimum’ of 1,200 houses, rather than giving a maximum number as is the case for the Broadland “village clusters”. If the reason for this separation is, as was given at the recent GNDP meeting of 6th January 2020, the lack of suitable sites coming forward in these South Norfolk “village clusters”, then this gives another good reason why the delivery of housing should be phased. Clearly the sites included in the JCS have undergone rigorous assessment and their inclusion in the Local Plan is an acknowledgement of their suitability for development. It makes absolute sense that these suitable sites should be developed first especially given the fact that any new sites coming forward are deemed to be unsuitable.

Paragraph 163d states that the strategy for location of growth ‘focusses reasonable levels of growth in the main towns, key service centres and village clusters to support a vibrant rural economy’, before suggesting that the approach to “village clusters” is ‘innovative’. The claim that providing new housing in such locations will support services is, we contend, largely illusory. Instead, additional new housing will lead to more car and delivery vehicle journeys, with residents travelling longer journeys to access the services they require such as health services and a supermarket. Given that the majority of any such new houses will be larger “family” homes, with children just or more likely to be of secondary or tertiary school or college age than of primary school age. This will have further impacts on carbon reduction due to the additional journeys needed to secondary schools or colleges.

It is clearly demonstrated in the table on page 80 of the 23 June 2017 GNDP Board Papers that the most reasonable option for the distribution of housing in terms of the environment (e.g. minimising air, noise and light pollution; improving well-being; reducing C02 emissions; mitigating the effects of climate change; protecting and enhancing biodiversity and green infrastructure; promoting the efficient use of land; respecting the variety of landscape types in the area; ensuring that everyone has good quality housing of the right size; maintaining and improving the quality of life; reducing deprivation; promoting access to health facilities and healthy lifestyles; reducing crime and the fear of crime; promoting access to education and skills; encouraging economic development covering a range of sectors and skill levels to improve employment opportunities for residents and maintaining and enhancing town centres; reducing the need to travel and promoting the use of sustainable transport modes; conserving and enhancing the historic environment and heritage assets; minimising waste generation; promoting recycling; minimising the use of the best agricultural land; maintaining and enhancing water quality and its efficient use) is Option 1: urban concentration close to Norwich. In terms of all these factors taken together the least desirable option as shown on this chart is Option 4: dispersal. We therefore strongly support urban concentration in and close to Norwich as the way forward, because it is best for the environment, minimising climate change and the well-being of residents.

There is very little economic evidence to suggest that cementing new housing estates on the edges of villages will bring any boost to local services, but rather they will put a strain on these services, where they exist.

We cannot understand why the table showing the same set of factors in the Interim Sustainability Appraisal for the GNLP on page 42 shows some different results from the table on page 80 of the 23 June 2017 GNDP Board Papers. While the most recent table confirms that overall urban concentration is a better option than dispersal, it is even clearer in the earlier version. The table on page 42 shows that urban concentration is better than dispersal in terms of: minimising air, noise and light pollution; improving well-being; reducing C02 emissions; mitigating the effects of climate change; protecting and enhancing biodiversity and green infrastructure; encouraging economic development covering a range of sectors and skill levels to improve employment opportunities for residents and maintaining and enhancing town centres; reducing the need to travel and promoting the use of sustainable transport modes. However, in terms of some of the other factors it seems that changes have been made to the table so that several options appear to be equal in terms of impacts, instead of showing what the earlier table demonstrated, which is that concentration was the best option and dispersal the least reasonable option.

Given the clear benefits and advantages from these documents for the environment, climate change and other areas, as well as other reservations around lack of sustainability and issues of delivery, we strongly urge the GNDP to remove the requirement for additional new sites for housing in the “village clusters” from the GNLP.

Q14 Do you support, object, or wish to comment on the approach for housing numbers and delivery?

Paragraph 145 claims that the strategy ‘is informed by consultation feedback’, yet chooses to ignore much from previous consultations even where such feedback was significantly in favour of a particular approach. An example of this is the position taken towards windfalls. Responses to the Stage A Regulation 18 Site Proposals and Growth Options consultation were significantly against (110 to 45) counting windfalls in addition to the additional (at that point 7,200) housing, and yet this has been ignored in the current draft plan consultation. By not counting windfalls in the calculation for housing numbers in table 6, there will be a resulting over-supply of houses, particularly if the out-of-date 2014 National Housing Projections are used. Windfalls are acknowledged as a reliable source of new housing and many Local Authorities do count them towards their housing targets: their contribution towards housing targets in the GNLP should lead to a reduction in the number of new sites which are allocated.

CPRE Norfolk also has specific concerns about the approach for housing numbers in the South Norfolk Village Clusters, as there is no total figure given for this new housing, but instead an open-ended ‘minimum of 1,200 homes’. This use of the word “minimum” needs to be removed and replaced by a “maximum” total, so that further potential over-supply is avoided. At best, the actual delivery of new housing in the plan area has just exceeded 2,000 dwellings per annum, with 1,500 being more typical. At this build-rate, current commitments cover actual housing need to 2038.

CPRE Norfolk wants to see sites allocated for housing in the existing plan (JCS) developed before any new sites that are likely to be added in to the emerging GNLP are built out. Although we understand that it will not be possible to prevent new sites being included in the plan, we are asking that these extra land allocations for housing are treated as phased development and that building should not occur on these sites until the current JCS sites have been used up. We think this is a sensible approach because not only does it protect the countryside, but also at current rates of house building there is enough land already allocated in the JCS to cater for the building that is likely to occur over the new Plan period.

There is very little evidence to show that increasing the amount of land on which houses can be built actually increases the rate at which they are built. All that happens is that developers ‘cherry-pick’ the most profitable sites, which are likely to be the newly allocated green field sites and that this will lead to even more land banking of currently allocated sites. This will also mean that many less sustainable (or as CPRE Norfolk would argue, unsustainable) sites for housing are developed rather than those with more sustainable locations. This would result in more pollution and congestion, with the negative consequences for the climate and climate change. It also means that expensive infrastructure which has been provided to facilitate new housing in the existing plan, could end up being an irrelevant and embarrassing white elephant.

It is disappointing that there is no mention of phasing as an option within the consultation document, as this would help to prevent the worst excesses of unnecessary development. 69 Parish and Town Councils in Broadland and South Norfolk (over 38%)have supported CPRE Norfolk on this issue and have signed a pledge to this effect, which was included in the previous consultation, but ignored in the current draft Plan. With this groundswell of grassroots opinion making such a strong case, we urge the GNDP in producing the GNLP to consider phasing seriously as the most reasonable way forward. Clearly there is a democratic deficit: meaningful consultation should not ignore this volume of common-sense opinion.

Q18 Do you support, object or have any comments relating to the preferred approach to sustainable communities including the requirement for a sustainability statement?

Commenting on Policy 2 – Sustainable Communities, CPRE Norfolk questions the use of the words “as appropriate” in the policy’s introduction, as this means the requirements would be far too open to interpretation as to what is “appropriate” and therefore opportunities to ensure that ‘mitigating and adapting to climate change, [and] assisting in meeting national greenhouse gas emissions targets’ will be missed.

This concern is particularly relevant when considering how new housing development in the “village clusters” will fulfil the first requirement to ‘ensure safe, convenient and sustainable access to on-site and local services and facilities including schools, health care, shops, leisure/community/faith facilities and libraries.’ The rationale behind these “village clusters” appears to be mainly based on the availability and accessibility of a primary school. However, safe, convenient and sustainable access to the other features on this list are equally important. Adequate health care and shops simply are not available in these ways to many of the preferred new sites for housing in the “village clusters”, therefore giving further reasons why such sites should not be included in the GNLP.

There is a worrying disconnect between the aspirations in point 6 with the need to ‘manage travel demand and promote public transport and active travel within a clearly legible public realm’, and the imposition of additional new housing in “village clusters”. It is difficult if not impossible to see how residents of the majority of this new housing will be able to use active travel or public transport, due to the likely distances from workplaces and the lack of suitable public transport.

If additional new housing is developed in “village clusters” most of the working residents will not have ‘good access to services and local job opportunities’. Instead there will be an unsustainable increase in the number of journeys to and from work using private vehicles, which will not be electric-powered certainly for the majority of the plan period. It is very doubtful if additional housed will provide enough business to keep a village shop open, but they will definitely increase the number of journeys made for delivery and service vehicles, making this housing even more unsustainable.

If communities are to ‘minimise pollution’ as required to do so by point 8, it is imperative that no additional new housing is allocated to “village clusters”, as this would lead to an increase in petrol and diesel-powered vehicle journeys to and from such housing. This, along with the resultant increase in congestion, makes this additional housing highly undesirable.

Q19 Do you support, object or have any comments relating to the specific requirements of the policy?

We comment on various aspects of Table 8 relating to Policy 2.


Point 3, Green Infrastructure. The opening statement is: ‘Developments are required to provide on-site green infrastructure appropriate to their scale and location’. The three main benefits listed are biodiversity gain, promotion of active travel and the reduction of flood risk, which are key NPPF priorities.
The NPPF is also supportive of biodiversity on a more strategic scale, and the importance of ecological networks and Nature Recovery Networks. While Green Infrastructure is useful, and can play a role in these, it clearly has limitations in a wider role across the wider countryside, and in linking high designated nature conservation sites.
Point 5, Landscape, should recognise that valued landscapes often sit with good wildlife habitats. This is particularly the case for river valleys and the Broads. A strong message from the Environment Plan and the recommendations from the recent Landscapes Review is to make links between landscapes and wildlife, and not consider them in isolation. This is covered more fully in our response to Q21.
Point 9, Water. In our view it needs to be recognised that SUDS is not a silver bullet when dealing with flood risk. Areas of low-lying land with a high water-table can present a problem in ‘getting the water way’, and if it does manage to do that existing settlements can be put at risk.
A high level of growth puts a greater pressure on the capacity of Waste Water Treatment Works, both on the discharge of effluent into river systems, and on flood risk with foul water. This will be exacerbated by under or lagging investment in WWTW. Although not the responsibility of the Greater Norwich Authorities, their Annual Monitoring Reports (AMRs) should record and monitor incidents.

The statement in Point 9, Water - Key issues addressed by policy 2 states that: ‘Government policy expects local planning authorities to adopt proactive strategies to adapt to climate change, taking into account water supply and demand considerations. It allows local plans to set a higher standard of water efficiency than the Building Regulations where evidence justifies it. For housing development, only the higher Building Regulations standard for water prescribed by Government (110 litres per person per day) can [be] applied through local plans and more demanding standards cannot be set. If the potential to set more demanding standards locally is established by the Government in the future, these will be applied in Greater Norwich.’ The closing note at the bottom of the wording states: ‘Implementation of the standards for water efficiency will be supported by an updated advice note.’

We comment that it is imperative that Per Capita Consumption (PCC) of water is further reduced below the Government's prescribed 110 litres per person per day in order to deliver the statement made in Section 3, paragraph 129 which states: ‘Greater efficiency in water and energy usage will have minimised the need for new infrastructure, and further reductions in carbon emissions will be delivered through the increased use of sustainable local energy sources. New water efficient buildings will have also contributed to the protection of our water resources and water quality, helping to ensure the protection of our rivers, the Broads and our other wetland habitats.’ East Anglia is the driest region of the UK, our aquifers, rivers and wetlands are already at breaking point, as are many of the regions farmers who are seeing their abstraction licences reduced or revoked. If more demanding standards to reduce PPC water consumption are not set as part of the local plan, this will further adversely impact upon the environment, impacting upon the Broads and wetlands, which in turn will impact the regions aspirational growth for tourism and will severely impact the regional agricultural economy.

These pressures are further evidence as to why the amount of new housing should be tightly controlled.

Q21 Do you support, object or have any comments relating to the approach to the natural environment?

CPRE Norfolk supports further ‘development of a multi-functional green infrastructure network’. However, we have major concerns about how biodiversity net gain will be evaluated, assessed and measured, although it is recognised that at this point it is unclear as to what the legal requirements of this policy will be given the current progress of the Environment Bill.

Paragraphs 183 and 184 talk about the great weight placed on protecting the natural environment in Greater Norwich, but then there are no clear details on how this will be achieved. Provision of a Green Belt on a ‘green wedges’ model would go some way to addressing this.

This draft Plan takes a very narrow view on the NPPF and 25-Year Plan on policies for the natural environment, namely that strategy, aims and policies are restricted to considering only gain as seen through the prism of development. There is a duty to cooperate between Councils, and that should automatically happen. While implementation may be less direct, there should be a wider strategic vision that does support policies of the NNPF. CPRE Norfolk has a proposal for a Nature Recovery Network from the North Norfolk Coast to the east coast (including parts of the Broadland DC area), by the enhancement of the ecological network provided by our river systems, and supported by the environmental land management scheme. This includes a detailed planning and land management document for landscapes and wildlife relating to a Nature Recovery Network, which also include an AONB extension to the Norfolk Coast AONB into the full catchments of the twin North Norfolk rivers Glaven and Stiffkey.

Q22 Are there any topics which have not been covered that you believe should have been?

Yes, the decision to remove a possible green belt for Norwich on the green wedges (or other) model from the draft Local Plan is, in the opinion of CPRE Norfolk, unjustified, particularly bearing in mind the large degree of support it received in the earlier Stage A Regulation 18 Site Proposals and Growth Options consultation.

Q23 Do you support, object or have any comments relating to [the] approach to transport?

CPRE Norfolk supports the provision of new railway stations at Rackheath and especially Dussindale as outlined in paragraph 206.

We note the contradiction in the Transport for Norwich Strategy as reflected in Policy 4 – Strategic Infrastructure, when it aims ‘to promote modal shift’ by having ‘significant improvements to the bus, cycling and walking network’ on the one hand, but promotes ‘delivery of the Norwich Western Link road’ on the other. CPRE Norfolk fully supports the former set of aims while opposing the latter.

CPRE Norfolk supports ‘protection of the function of strategic transport routes (corridors of movement)’, and as part of this strongly suggests that no industrial development should be permitted on unallocated sites along such corridors of movement.

The desire to support ‘the growth and regional significance of Norwich Airport for both leisure and business travel to destinations across the UK and beyond’ surely contradicts the aspirations for addressing climate change stated within Section 4 of the draft GNLP?

Public transport provision needs to be improved and made affordable, not only between main towns and key service centres, but to and from smaller settlements. This is essential even without any further growth of these settlements, as many areas of rural Norfolk have become public transport deserts.

Q27 Do you support, object or have any comments to [the] approach to affordable homes?

CPRE Norfolk supports the affordable housing policy within Policy 5 – Homes. It is essential that the requirements of this policy are followed when progressing applications for housing on sites of 10 dwellings or more. Any policy which encourages the building of a greater proportion of affordable homes should be adopted. It is to be hoped that government policy will change further regarding viability tests so they become more transparent, so that it would be less easy for developers to evade their responsibilities to deliver affordable homes. More central government intervention is required if these needed homes are to be built. Ideally, affordable and social housing should be provided where needed as a stand-alone provision, and not be connected to private developers’ housing targets. Lessons must be learned from the history of poor delivery of affordable homes, to ensure that the policy to provide 28% or 33% affordable houses must be enforced. We support rural exception sites as a means of supplying needed local affordable and social housing. An approach based on the provision of stand-alone sites such as these, in our opinion is a far better method for addressing affordable and social housing needs.

Q34 Do you support, object or have any comments relating to the approach to employment land?

CPRE Norfolk while not agreeing with the allocation of so much green-field land for employment/economic use, it is essential that any such allocated sites are adhered to. This means that no exceptions should be made, particularly for larger businesses, to develop sites outside these allocated areas. If any such un-planned growth were to be permitted this would lead to further erosion of the area’s landscape and environment, along with issues regarding the sustainability of any such sites. A large amount of the land allocated in the JCS for employment use remains for use. The development of these sites should be prioritised before any new sites are added.

Q45 Do you support or object or wish to comment on the overall approach for the village clusters? Please identify particular issues.

“Village Clusters” appear to be an artificial concept, invented to justify the dispersal of housing into the countryside. It is difficult to understand the justification for changing the current settlement hierarchy within the JCS to that proposed in this draft plan, in particular by eliminating the JCS categories of Service Villages, Other Villages, smaller rural communities and the countryside, which provided opportunities for a more nuanced approach to housing allocation, appropriate to each category of community/settlement within their own setting, landscape and context. The “village cluster” approach is a relatively crude one, with much more of a ‘one size fits all’ approach. CPRE Norfolk is particularly disappointed to see that the current JCS settlement hierarchy is not even offered as an ‘alternative approach’ in the draft GNLP, and wishes to see this rectified.

Even if the “village clusters” are adopted it would still be important to limit these to the area within their settlement boundaries and to designate the remaining largely rural areas as “countryside”, which would then require a further policy similar to the current JCS policy 17: smaller rural communities and the countryside. It is a great regret that the Rural Policy Areas of the JCS will be eliminated in the GNLP, as these provided effective protection of the countryside from unnecessary development.

The different approach for “village clusters” in Broadland compared to those in South Norfolk is not acceptable given the emphasis on the GNLP being a strategic plan for the whole of Greater Norwich. The “village clusters” in Broadland and South Norfolk should be treated in the same way if they are to be included in the final GNLP. This means that a maximum number of new housing for both areas should be included in the GNLP rather than the current different approach/wording, by having Broadland’s “village clusters” providing ‘up to 480’ whereas South Norfolk is to provide ‘a minimum of 1,200’: both areas should have the same wording i.e. ‘up to …’. We are concerned that all of the “village clusters” in South Norfolk will not be scrutinised to the same degree as those in Broadland due to the separate South Norfolk Village Clusters Housing Site Allocations document.

CPRE Norfolk is concerned by the use of primary school catchments acting as ‘a proxy for social sustainability’, with apparently no other sustainability measures being taken into account when decided on the amount and location of housing within “village clusters”. This does not make the proposed allocated housing within “village clusters” sustainable as required by the NPPF. Other measures should be taken into account within the social, economic and environmental spheres.

Q46 Do you support or object or wish to comment on the approach for specific village clusters? Please identify particular issues.

We are concerned that all of the “village clusters” in South Norfolk will not be scrutinised to the same degree as those in Broadland due to the separate South Norfolk Village Clusters Housing Site Allocations document.

Q47 Do you support or object or wish to comment on the overall approach for Small Scale Windfall Housing Development? Please identify particular issues.

CPRE Norfolk feels that windfall development should be restricted to sites within settlement boundaries. Housing need is already catered for by other policies in the Plan. Windfall developments should also count towards overall housing targets.

Q48 Do you support or object or wish to comment [on] any other aspect of the draft plan not covered in other questions? This includes the appendices below. Please identify particular issues.

CPRE Norfolk does not understand why there has been a major change in direction and policy as to where new development should be allocated in the GNLP compared to the current JCS. The JCS was only finally fully adopted in January 2014, just over 6 years ago. In the JCS housing concentrated in and close to Norwich was agreed and supported by hugely expensive infrastructure projects, in particular the Northern Distributor Road (now known as the Broadland Northway), which was primarily constructed to distribute traffic form and to new housing developments on the northern fringes of Norwich and in the North-east Growth Triangle. It would be a massive and costly folly to change that policy to one which allowed for the dispersal of much housing across the rural areas of Broadland and South Norfolk, where there is insufficient infrastructure, services and public transport, which would mean such development would be unsustainable. This would only lead to more congestion and pollution, leading to problems in meeting carbon-reduction targets.

CPRE Norfolk wants to see sites allocated for housing in the existing plan (the JCS) developed before any new sites that are likely to be added in to the emerging GNLP are built on. Although we understand that it will not be possible to prevent new sites being included in the plan, we are asking that these extra land allocations for housing are treated as phased development and that building should not occur on these sites until the current JCS sites have been used up.

There is very little evidence to show that increasing the amount of land on which houses can be built actually increases the rate at which they are built. All that happens is that developers ‘cherry-pick’ the most profitable sites, which are likely to be the newly allocated green field sites and that this will lead to even more land banking of currently allocated sites.

It is very disappointing that there is no mention of phasing as an option within the consultation document, as this would help to prevent the worst excesses of unnecessary development. 69 Parish and Town Councils in Broadland and South Norfolk (over 38%) have supported CPRE Norfolk on this issue and have signed a pledge to this effect. With this groundswell of grassroots opinion making such a strong case, we urge the GNDP in producing the GNLP to consider phasing seriously as the most reasonable way forward.

We question the relevance of a plan whose horizon is 2038, which is likely to be reviewed and replaced on at least three occasions before its end-date, and we fear that on each of these occasions more unsustainable housing will be crammed in at the expense of the countryside. What is perhaps most disturbing is that so many people living in the area are not aware of the current JCS let alone the emerging GNLP, and that where citizens are engaged in the process seem to have their views discounted. For example, this is clear where the views of over 38% of the Broadland and South Norfolk Parish and Town Councils regarding the phasing of housing development are apparently ignored. Current consultation processes are not reaching the majority of people: perhaps a Citizens’ Assembly approach would be a means which would enable more people to be involved.

Attachments:

Comment

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22689

Received: 16/03/2020

Respondent: Ian Couzens

Representation Summary:

We are disappointed that while the GNLP aspires to a considerable shift to non-car modes of transport, very little detail is given as to how this will be achieved. Rail in particular receives very little reference within the document. We appreciate that there is ongoing work with the Transport for Norwich Strategy, and the emerging Transforming Cities programme, and that more detail has been promised for the submission version of the plan. We also presume that the recently published draft Norfolk Rail Prospectus (NRP) will contribute to the plan, although this is not explicitly stated.
However we can see no reason why a stronger strategic framework could not have been set out within this document, to be filled in with more detail later. As things stand the value of the Regulation 18 consultation has been diminished because the transport strategy will only be properly presented after the consultation is over.

See attachment for full representation

Full text:

We are disappointed that while the GNLP aspires to a considerable shift to non-car modes of transport, very little detail is given as to how this will be achieved. Rail in particular receives very little reference within the document. We appreciate that there is ongoing work with the Transport for Norwich Strategy, and the emerging Transforming Cities programme, and that more detail has been promised for the submission version of the plan. We also presume that the recently published draft Norfolk Rail Prospectus (NRP) will contribute to the plan, although this is not explicitly stated.
However we can see no reason why a stronger strategic framework could not have been set out within this document, to be filled in with more detail later. As things stand the value of the Regulation 18 consultation has been diminished because the transport strategy will only be properly presented after the consultation is over.

See attachment for full representation

Attachments:

Support

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22730

Received: 16/03/2020

Respondent: Pegasus Group

Representation Summary:

The GNLP Draft Strategy states that transport improvements will support the role of Norwich as the regional capital and support strategic growth in the Cambridge Norwich Tech Corridor.
In particular, our client supports the Strategy’s commitment to continue to improve public transport accessibility to and between main towns and key service centres. The Village of Loddon is classed as a ‘Key Service Centre’ in the GNLP Draft Strategy and is well served by a frequent service to Norwich City Centre and Lowestoft (one bus every 30 minutes). Our client would welcome any further improvements to increase the accessibility of Loddon by sustainable modes of transport, and thereby encourage a shift towards non-car use.

Full text:

See summaries for responses

- GNLP Regulatory 18 Consultation Questions- Land off Norton Road, Loddon
- GNLP Regulatory 18 Consultation Questions- Dairy Farm, Thorpe End

Introduction
These representations are submitted on behalf of our client Halsbury Homes Ltd in response to the Greater Norwich Local Plan (GNLP) Regulation 18 Consultation.
Our client is promoting Land off Norton Road, for residential development in the GNLP.

Object

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22756

Received: 16/03/2020

Respondent: Mr Bryan Robinson

Representation Summary:

The Plan makes statements concerning public transport which are no more than a wish list repeating the broken promises which were made to the Planning Inspector for the NDR as part of and complementary to that road. It is now apparent that Norfolk County Council does not have the finance to back-up these statements and were hoping that the 2019 funding application to the Government would rectify this. Unfortunately, the 2020 budget announcement has not supported this application in full and expectations are that only 40% of this money will be made available.

Public transport is important both in Norwich and in a rural county particularly if a move away from reliance on the car is to be achieved. This should now be the primary consideration for transport rather than building more roads.

I am particularly concerned that two new road schemes have been introduced, namely the Norwich Western Link and the UEA/Hospital link. Both are across sensitive river valleys, the Yare and Wensum and promoted as essential for growth. However, apart from this statement there is no evidence that either is critical to the housing or employment proposals in the Plan. The stated unsubstantiated growth benefits do not justify the destruction of these protected areas.

Full text:

For full representation, please refer to the attached document

Attachments:

Comment

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22854

Received: 16/03/2020

Respondent: Crown Point Estate

Agent: Miss Kate Wood

Representation Summary:

Policy 4 states that the role of the Park and Ride system will be developed in order to facilitate the move towards sustainable modes of transport and a reduction of the reliance on travel by cars. We await the publication of the Transport for Norwich Strategy and the fourth local transport plan (Norfolk CC). We are promoting the Loddon P&R site on the last remaining route into the City that lacks P&R provision, and we note that the supporting text states the new TfN strategy is "likely" to include improvement to sustainable transport networks including Park and Ride enhancements. The Loddon P&R site provides the opportunity to support this approach, along with the intended shift to electric vehicle use. We agree that as a rural hinterland, a complete shift away from the private car will be difficult, so efforts should be made to make elective electric vehicle usage easier, with infrastructure planned to be in place for public EV charging facilities. P&R is an ideal scenario for this functionality, which can be built in from the start with a new P&R site more easily than retrofitting.

Full text:

For full representation, please refer to the attached documents.

Support

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22909

Received: 13/03/2020

Respondent: Bidwells

Number of people: 2

Representation Summary:

Support, with comments.
The UEA are supportive of improvements to transport infrastructure to develop the role of Norwich, and support the Cambridge Norwich Tech Corridor. More specifically, the UEA are supportive and dedicated to the provision of a cross valley transport link between the UEA and the wider Norwich Research Park, alongside signficant improvements to the bus, cycling and walking networks around this area.

Full text:

Please find attached a Regulation 18 Stage C Consultation Representation, in relation to GNLP0133-E, Land at UEA Grounds Depot Site, Bluebell Road.

Attachments:

Support

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22941

Received: 13/03/2020

Respondent: Bidwells

Number of people: 2

Representation Summary:

Support, with comments.
The UEA are supportive of improvements to transport infrastructure to develop the role of Norwich, and support the Cambridge Norwich Tech Corridor. More specifically, the UEA are supportive and dedicated to the provision of a cross valley transport link between the UEA and the wider Norwich Research Park, alongside signficant improvements to the bus, cycling and walking networks around this area

Full text:

Please find attached a Regulation 18 Stage C Consultation Representation, in relation to GNLP0133-D, Land between Suffolk Walk and Bluebell Road.

Attachments:

Support

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22961

Received: 13/03/2020

Respondent: Bidwells

Number of people: 2

Representation Summary:

Support, with comments.
The UEA are supportive of improvements to transport infrastructure to develop the role of Norwich, and support the Cambridge Norwich Tech Corridor. More specifically, the UEA are supportive and dedicated to the provision of a cross valley transport link between the UEA and the wider Norwich Research Park, alongside signficant improvements to the bus, cycling and walking networks around this area.

Full text:

Please find attached a Regulation 18 Stage C Consultation Representation in relation to GNLP0133-C, Land North of Cow Drive (the Blackdale Building, adjoining Hickling House and Barton House).

Attachments:

Support

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22973

Received: 16/03/2020

Respondent: Barratt David Wilson Homes

Agent: Pegasus Planning Group

Representation Summary:

Our client supports the promotion of a greater shift towards non-car modes of travel in the Norwich urban area by focussing high density growth in locations with good access to sustainable transport networks. Cringleford is identified as a fringe parish that as part of the Norwich urban area is a location where higher densities should be promoted to help achieve this shift. As part of the developments already consented in Cringleford there have been significant enhancements to public transport connectivity and routes for non-motorised users. As consented sites are built out further improvements will be made to sustainable travel networks to enable new and existing Cringleford residents to access the services, facilities and job opportunities in the Greater Norwich area.

In addition to the improvements to sustainable travel networks the Travel Plans required for new residential developments in the village will help promote sustainable travel for residents as they move into new homes. In order to maximise the benefits of the infrastructure that has already been secured for Cringleford it is essential that the proposed uplift in numbers for the village makes the most efficient use of land in this sustainable location. Our earlier comments on the site are relevant in this context. By failing to make the most efficient use of land in this sustainable location additional homes would be more likely to be accommodated in less sustainable locations where new residents would have limited access to sustainable modes of travel. Specifically, there are concerns that the proposed allocations through the South Norfolk Village Clusters Housing Sites Allocation document would deliver less sustainable forms of development in lower order settlements. This would lead to greater car dependency and the negative health and environmental impacts that this creates. Therefore, maximising the use of land in higher order settlements, near to places of employment in Norwich, is a sound approach to accommodating the future housing needs of the Greater Norwich area.

Investing in public transport infrastructure is only one part of the solution and for some the infrequency of services is a constraint to its use. Whilst cycling and walking also have their limitations there is clearly merit on focussing growth in location where new residents can walk and cycle to facilities and services as well as being able to cycle to higher order settlements, such as Norwich, to meet employment and wider recreational needs.

One of the most important pieces of infrastructure, which is often overlooked, is social infrastructure. That is why the Councils need to focus growth on sites on the edges of existing sustainable settlements where new residents can benefit from established social infrastructure. By allowing new residents the opportunity to walk and cycle to meet their daily needs it also creates greater opportunities for positive interactions between new and existing residents. Our client’s site offers the opportunity to accommodate more homes within the popular village of Cringleford where new residents will be integrated into the existing community and benefit from existing infrastructure. Therefore, the Councils must make the most of this opportunity to maximise the use of this site by increasing the number of new homes proposed as an uplift to the allocation.

Full text:

For full representation, please refer to the attached documents.

Support

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22996

Received: 13/03/2020

Respondent: Bidwells

Representation Summary:

Support, with comments.
The UEA are supportive of improvements to transport infrastructure to develop the role of Norwich, and support the Cambridge Norwich Tech Corridor. More specifically, the UEA are supportive and dedicated to the provision of a cross valley transport link between the UEA and the wider Norwich Research Park, alongside signficant improvements to the bus, cycling and walking networks around this area.

Full text:

Please find attached a Regulation 18 Stage C Consultation Representation in relation to GNLP0133-B, Land adjoining the Enterprise Centre at Earlham Hall (walled garden and nursery).

Attachments:

Object

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 23037

Received: 16/03/2020

Respondent: Hingham Town Council

Representation Summary:

There is insufficient detail as to HOW transport provision will be improved for the outer reaches of the GNLP area. The focus is too heavily on Norwich and Major road networks (A roads). There is no commitment to improvement within Hingham which is situated on the B1108 which is subject to ever increasing traffic numbers and carries traffic from the large areas of development in and around Watton/Carbrooke (Breckland).

The policy document notes that Hingham has "good transport links". This is not an accurate description. The Joint Core Strategy 6.53 describes Hingham as having a “limited bus service”, since the JCS was adopted there has been a reduction in bus services and threats of loss of the already severely limited direct bus service to Dereham .
In the context of the climate emergency where we need to encourage everyone to be less reliant on cars and to use public transport as much as possible, this strategy document, taking us up to 2038, is very much lacking in ambition and concrete provisions of improvement to transport links. Currently buses are available to Wymondham, Watton and Norwich every 30 minutes and buses to the Norfolk and Norwich Hospital and Research Park once an hour, also buses stop at around 7pm.
In terms of employment the document states Hingham is "well located to benefit from additional employment opportunities in the Cambridge Norwich Tech Corridor" - this does not seem an accurate description in the context of reliance on public transport when there is one bus an hour to the Research Park and a bus to the Hethel Innovation Centre (a 20 minute drive) would take 2 hours via Norwich. In addition, no consideration has been made to account for the fact that Hingham is on the very edge of South Norfolk bordering with Breckland and that people could quite conceivably want to travel to Attleborough or Dereham for work, local amenities or leisure and there are either limited or no public transport links directly available to these places at all (a bus to Attleborough would take over an hour verses a 10 minute drive by car, and to Dereham a 40 minute bus ride is only available twice a week, otherwise an hour and a half bus journey versus a 20 minute drive).
In terms of leisure a night bus service, enabling people to return from the city after going to the theatre or seeing a band would also be very welcome. For a strategy that claims to aspire towards a "radical shift away from the private car" current plans seem woefully inadequate.
There is no mention in Policy 4 of road infrastructure improvements to support additional traffic through the rural communities forced to accept more housing development, and no commitment to ensuring that infrastructure will be enhanced to try to ensure greater adherence to speed limits.
There are long held concerns over the safety of the B1108 Fairland crossroads – More housing development in Hingham and the surrounding areas will only increase the vehicle numbers using this already dangerous crossroad. Hingham Town Council have applied for (and have been successful) NCC Parish Partnership bid for a feasibility study into the Fairland/B1108 junction safety improvements. In order to support further development of Hingham, if it is proved to be feasible to improve this junction, a firm commitment needs to be made from the Highways authority to undertake the work.

Full text:

For full representation response, please refer to the attached document.

Attachments:

Comment

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 23081

Received: 16/03/2020

Respondent: Orbit Homes

Agent: David Lock Associates

Representation Summary:

Our comments on transport reiterate our earlier concerns regarding the alignment of the growth strategy with transport priorities and investment, summarised as:
i. The A11 is the spine of the Tech Corridor and has been subject to substantial investment but within the GNLP is not being utilised or maximised to deliver growth;
ii. Given the future context of East West Rail and improvements on the Norwich to Cambridge line, as set out in the Rail Prospectus consultation (2020), the rail network, including the proposed mobility hub at Wymondham, should be given much more focus as an opportunity to support strategic growth in this location;
iii. If a modal shift is to genuinely be achieved, then new development allocations should be at locations close to, and their transport case absolutely integrated with, railway stations. This is not the case for a considerable number of the currently proposed allocations;
iv. Appendix 1 of the GNLP sets out infrastructure requirements required to unlock new growth and in the context of the above it appears that a number of strategic allocations are predicated on third party infrastructure investment which is by no means certain (for example, attributing further growth in close proximity to the A47 Longwater Interchange). We consider that this risks undermining the delivery of the GNLP.

Full text:

For full representation, please refer to the attached documents.

Support

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 23112

Received: 31/03/2020

Respondent: Salhouse Parish Council

Representation Summary:

CPRE Norfolk supports the provision of new railway stations at Rackheath and especially Dussindale as outlined in paragraph 206.
We note the contradiction in the Transport for Norwich Strategy as reflected in Policy 4 – Strategic Infrastructure, when it aims ‘to promote modal shift’ by having ‘significant improvements to the bus, cycling and walking network’ on the one hand, but promotes ‘delivery of the Norwich Western Link road’ on the other. CPRE Norfolk fully supports the former set of aims while opposing the latter.
CPRE Norfolk supports ‘protection of the function of strategic transport routes (corridors of movement)’, and as part of this strongly suggests that no industrial development should be permitted on unallocated sites along such corridors of movement.
The desire to support ‘the growth and regional significance of Norwich Airport for both leisure and business travel to destinations across the UK and beyond’ surely contradicts the aspirations for addressing climate change stated within Section 4 of the draft GNLP?
Public transport provision needs to be improved and made affordable, not only between main towns and key service centres, but to and from smaller settlements. This is essential even without any further growth of these settlements, as many areas of rural Norfolk have become public transport deserts.
Transport needs to be organised with the priority being ‘service’, with frequency and early/late running availability, and services provided according to need, not commercial viability. Subsidise if necessary.

Full text:

Please see attached for full submission
Note that Salhouse Parish Council largely endorses the comments by CPRE, and so we have integrated these comments into our response.

Attachments: