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Comment

Stage C Evidence Base

Habitats Regulations Assessment of Greater Norwich Regulation 18 Draft Plan (December 2019)

Representation ID: 21838

Received: 16/03/2020

Respondent: Natural England

Representation Summary:

Natural England welcomes the production of the latest Habitats Regulations Assessment (HRA) report, dated December 2019, and prepared by The Landscape Partnership. We previously commented on the interim HRA in our response (dated 21 March 2018; our ref 235617) to the GNLP growth options and site proposals consultation.
Please note under 1.6.1 that the final sentence should refer to Natural Resources Wales rather than one of its predecessors, Countryside Council for Wales.
The designated sites have been identified correctly and we agree with the likely significant effects identified under 3.2.1. Under the second bullet point it would be good to amend the text as follows:
 “Increased pressure on water resources: The new homes and businesses would require a reliable source of drinking water…”.
This would recognise that water is essential for both new residential and employment allocations, as well as potentially being required in the operation of some businesses beyond the usual daily hygiene requirements.
As outlined in our response to the Local Plan above, Natural England has concerns whether the current wording and supporting text of various Plan policies are sufficient to secure the delivery of the mitigation measures identified in the HRA.

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Full text:

Natural England is a non-departmental public body. Our statutory purpose is to ensure that the natural environment is conserved, enhanced, and managed for the benefit of present and future generations, thereby contributing to sustainable development.
We support Broadland District, Norwich City and South Norfolk Councils’ preparation of a joint Local Plan to ensure a consistent approach to planning across the Greater Norwich area, with policies aligned with the revised National Planning Policy Framework (NPPF).

We have made detailed comments in this letter in relation to the following Greater Norwich Local Plan (GNLP) consultation documents:
 Draft Local Plan – Part 1 The Strategy
 Draft Sites Document
 Habitats Regulations Assessment of GNLP, December 2019
 Sustainability Appraisal and Strategic Environmental Assessment, January 2020

Natural England acknowledges that the findings of supporting documents including the draft Greater Norwich Water Cycle Study (WCS) (AECOM 2019) and the emerging Green Infrastructure and Recreational Impact Avoidance and Mitigation Strategy (GIRAMS) will need to be incorporated in the policies of the Local Plan and supporting documents, once these are finalised.
To summarise our response briefly, we broadly welcome the progress and development of aspects of the Local Plan and supporting documents to date, though Natural England is not yet satisfied that the relevant Plan polices will provide sufficient mitigation to ensure that there will be no adverse impacts to designated sites alone, and in-combination, through changes in water quality and resources and in regard to recreational disturbance, and to demonstrate that policies are sustainable.

Comment

Stage C Evidence Base

Sustainability Appraisal and Strategic Environmental Assessment (January 2020)

Representation ID: 21839

Received: 16/03/2020

Respondent: Natural England

Representation Summary:

Sustainability Appraisal and Strategic Environmental Assessment Report
Natural England welcomes the production of the latest iteration of the above document, dated January 2020, and prepared by Lepus Consulting, and in the following comments below it shall be referred to as the Sustainability Appraisal (SA).
We previously commented on the scoping of the SA in our response dated 12 August 2016 (our ref: 1887410) and on the interim SA in our response (dated 21 March 2018; our ref 235617) to the GNLP growth options and site proposals consultation. Whilst we recognise that some of our advice has been reflected in the latest version of the SA, we have the following comments to make:

See Attachment

Full text:

Natural England is a non-departmental public body. Our statutory purpose is to ensure that the natural environment is conserved, enhanced, and managed for the benefit of present and future generations, thereby contributing to sustainable development.
We support Broadland District, Norwich City and South Norfolk Councils’ preparation of a joint Local Plan to ensure a consistent approach to planning across the Greater Norwich area, with policies aligned with the revised National Planning Policy Framework (NPPF).

We have made detailed comments in this letter in relation to the following Greater Norwich Local Plan (GNLP) consultation documents:
 Draft Local Plan – Part 1 The Strategy
 Draft Sites Document
 Habitats Regulations Assessment of GNLP, December 2019
 Sustainability Appraisal and Strategic Environmental Assessment, January 2020

Natural England acknowledges that the findings of supporting documents including the draft Greater Norwich Water Cycle Study (WCS) (AECOM 2019) and the emerging Green Infrastructure and Recreational Impact Avoidance and Mitigation Strategy (GIRAMS) will need to be incorporated in the policies of the Local Plan and supporting documents, once these are finalised.
To summarise our response briefly, we broadly welcome the progress and development of aspects of the Local Plan and supporting documents to date, though Natural England is not yet satisfied that the relevant Plan polices will provide sufficient mitigation to ensure that there will be no adverse impacts to designated sites alone, and in-combination, through changes in water quality and resources and in regard to recreational disturbance, and to demonstrate that policies are sustainable.

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