Comment

Sustainability Appraisal and Habitats Regulation Assessment

Representation ID: 4891

Received: 17/03/2023

Respondent: Gleeson Land

Representation Summary:

The basis of the reasonable alternatives tested within the SA have been infected by a fundamentally flawed starting point conclusion that there is capacity for no more than 535 dpa within the southern planning area. The SA must be revisited given that this factual flaw goes to the heart of the process of selecting and testing reasonable alternative options. Consequentially, the draft CLP decision-making making process will also need to be revisited as this too has been infected by the factually incorrect SA.

Full text:

The basis of the reasonable alternatives tested within the SA have been infected by a fundamentally flawed starting point conclusion that there is capacity for no more than 535 dpa within the southern planning area. The SA must be revisited given that this factual flaw goes to the heart of the process of selecting and testing reasonable alternative options. Consequentially, the draft CLP decision-making making process will also need to be revisited as this too has been infected by the factually incorrect SA.